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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC. et al.1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

CERTIFICATE OF SERVICE

I, Alexa T. Westmoreland, depose and say that I am employed by Stretto, the claims, noticing, and solicitation agent for the Debtors in the above-captioned cases.

On July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on Wells Fargo Bank, National Association at Attn: Constantin Chepurny, 101 Independence Mall East, Philadelphia, PA 19106:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

 Debtors’ Cover Letter to All Holders of Claims and Interests Entitled to Vote on the Plan (attached hereto as Exhibit B)

 Solicitation and Voting Procedures (attached hereto as Exhibit C)

 [Customized] Ballot for Voting to Accept or Reject the Debtors’ Combined Disclosure Statement and Joint Chapter 11 Plan and Opt Out Form – Class 3 Ballot for Holders of Prepetition Revolving Credit Facility Secured Claims (attached hereto as Exhibit D)

 Order (I) Conditionally Approving the Adequacy of the Disclosure Statement, (II) Approving the Solicitation and Notice Procedures with Respect to Confirmation of the Debtors’ Joint Chapter 11 Plan, (III) Approving the Forms of Ballots and Notices in Connection Therewith, (IV) Scheduling Certain Dates with Respect Thereto, and (V) Granting Related Relief (Docket No. 1005, Pages 1-9)

 Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1048)

______1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https:/cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747. Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 2 of 144

 Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1049)

 Postage Pre-Paid Business Reply Envelope

Furthermore, on July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit E:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

 Debtors’ Cover Letter to All Holders of Claims and Interests Entitled to Vote on the Plan (attached hereto as Exhibit B)

 Solicitation and Voting Procedures (attached hereto as Exhibit C)

 [Customized] Ballot for Voting to Accept or Reject the Debtors’ Combined Disclosure Statement and Joint Chapter 11 Plan and Opt Out Form – Class 4A Ballot for Holders of General Unsecured Claims (attached hereto as Exhibit F)

 Order (I) Conditionally Approving the Adequacy of the Disclosure Statement, (II) Approving the Solicitation and Notice Procedures with Respect to Confirmation of the Debtors’ Joint Chapter 11 Plan, (III) Approving the Forms of Ballots and Notices in Connection Therewith, (IV) Scheduling Certain Dates with Respect Thereto, and (V) Granting Related Relief (Docket No. 1005, Pages 1-9)

 Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1048)

 Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1049)

 Postage Pre-Paid Business Reply Envelope

Furthermore, on July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on Wells Fargo Bank, National Association at Attn: Constantin Chepurny, 101 Independence Mall East, Philadelphia, PA 19106:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

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 Debtors’ Cover Letter to All Holders of Claims and Interests Entitled to Vote on the Plan (attached hereto as Exhibit B)

 Solicitation and Voting Procedures (attached hereto as Exhibit C)

 [Customized] Ballot for Voting to Accept or Reject the Debtors’ Combined Disclosure Statement and Joint Chapter 11 Plan and Opt Out Form – Class 4B Ballot for Holders of Prepetition Revolving Credit Facility Deficiency Claims (attached hereto as Exhibit G)

 Order (I) Conditionally Approving the Adequacy of the Disclosure Statement, (II) Approving the Solicitation and Notice Procedures with Respect to Confirmation of the Debtors’ Joint Chapter 11 Plan, (III) Approving the Forms of Ballots and Notices in Connection Therewith, (IV) Scheduling Certain Dates with Respect Thereto, and (V) Granting Related Relief (Docket No. 1005, Pages 1-9)

 Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1048)

 Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1049)

 Postage Pre-Paid Business Reply Envelope

Furthermore, on July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit H, and via electronic mail on the service list attached hereto as Exhibit I:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

 Debtors’ Cover Letter to All Holders of Claims and Interests Entitled to Vote on the Plan (attached hereto as Exhibit B)

 Solicitation and Voting Procedures (attached hereto as Exhibit C)

 [Customized] Ballot for Voting to Accept or Reject the Debtors’ Combined Disclosure Statement and Joint Chapter 11 Plan and Opt Out Form – Class 6 Ballot for Holders of Section 510(c) Claims (attached hereto as Exhibit J)

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 Order (I) Conditionally Approving the Adequacy of the Disclosure Statement, (II) Approving the Solicitation and Notice Procedures with Respect to Confirmation of the Debtors’ Joint Chapter 11 Plan, (III) Approving the Forms of Ballots and Notices in Connection Therewith, (IV) Scheduling Certain Dates with Respect Thereto, and (V) Granting Related Relief (Docket No. 1005, Pages 1-9)

 Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1048)

 Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1049)

 Postage Pre-Paid Business Reply Envelope

Furthermore, on July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit K, and via electronic mail on the service list attached hereto as Exhibit L:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

 Debtors’ Cover Letter to All Holders of Claims and Interests Entitled to Vote on the Plan (attached hereto as Exhibit B)

 Solicitation and Voting Procedures (attached hereto as Exhibit C)

 [Customized] Ballot for Voting to Accept or Reject the Debtors’ Combined Disclosure Statement and Joint Chapter 11 Plan and Opt Out Form – Class 7 Ballot for Holders of Existing Equity Interests (attached hereto as Exhibit M)

 Order (I) Conditionally Approving the Adequacy of the Disclosure Statement, (II) Approving the Solicitation and Notice Procedures with Respect to Confirmation of the Debtors’ Joint Chapter 11 Plan, (III) Approving the Forms of Ballots and Notices in Connection Therewith, (IV) Scheduling Certain Dates with Respect Thereto, and (V) Granting Related Relief (Docket No. 1005, Pages 1-9)

 Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1048)

 Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1049)

 Postage Pre-Paid Business Reply Envelope

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Furthermore, on July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit N:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

 [Customized] Notice of Non-Voting Status to Holders of Unimpaired Claims Conclusively Presumed to Accept the Plan (attached hereto as Exhibit O)

Furthermore, on July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit P:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

 [Customized] Notice of Non-Voting Status with Respect to Disputed Claims or Interests (attached hereto as Exhibit Q)

Furthermore, on July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following documents to be served via first-class mail on the service list attached hereto as Exhibit R:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

 Debtors’ Cover Letter to All Holders of Claims and Interests Entitled to Vote on the Plan (attached hereto as Exhibit B)

 Solicitation and Voting Procedures (attached hereto as Exhibit C)

 Order (I) Conditionally Approving the Adequacy of the Disclosure Statement, (II) Approving the Solicitation and Notice Procedures with Respect to Confirmation of the Debtors’ Joint Chapter 11 Plan, (III) Approving the Forms of Ballots and Notices in Connection Therewith, (IV) Scheduling Certain Dates with Respect Thereto, and (V) Granting Related Relief (Docket No. 1005, Pages 1-9)

 Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1048)

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 Joint Plan of Bouchard Transportation Co., Inc. and Its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (Docket No. 1049)

Furthermore, on July 9, 2021, at my direction and under my supervision, employees of Stretto caused the following document to be served via first-class mail on the service list attached hereto as Exhibit S:

 Notice of Hearing to Consider (I) the Adequacy of the Debtors’ Disclosure Statement, (II) Confirmation of the Plan and (III) Related Voting and Objection Procedures (attached hereto as Exhibit A)

Dated: July 13, 2021 /s/ Alexa T. Westmoreland Alexa T. Westmoreland STRETTO 8269 E. 23rd Avenue, Ste 275 Denver, CO 80238 Telephone: 855.923.1038 Email: [email protected]

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Exhibit A

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

NOTICE OF HEARING TO CONSIDER (I) THE ADEQUACY OF THE DEBTORS’ DISCLOSURE STATEMENT, (II) CONFIRMATION OF THE PLAN AND (III) RELATED VOTING AND OBJECTION PROCEDURES

PLEASE TAKE NOTICE THAT on June 23, 2021, the United States Bankruptcy Court for the Southern District of Texas (the “Court”) entered an order (the “Disclosure Statement Order”): (a) authorizing the above-captioned debtors and debtors in possession (collectively, the “Debtors”), to solicit votes on the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”);2 (b) conditionally approving the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”) as containing “adequate information” pursuant to section 1125 of the Bankruptcy Code; (c) approving the solicitation materials and documents to be included in the solicitation packages (the “Solicitation Packages”); and (d) approving procedures for soliciting, receiving, and tabulating votes on the Plan and for filing objections to confirmation of the Plan and final approval of the Disclosure Statement.

PLEASE TAKE FURTHER NOTICE THAT the hearing at which the Court will consider Confirmation of the Plan and final approval of the Disclosure Statement (the “Combined Hearing”) will commence on August 5, 2021, at 9:00 a.m. prevailing Central Time, before the Honorable David R. Jones in the United States Bankruptcy Court for the Southern District of Texas, located at Courtroom 400, 515 Rusk, Houston, TX 77002.

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

2 Capitalized terms not otherwise defined herein shall have the same meaning as set forth in the Plan.

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Please be advised: the Combined Hearing may be continued from time to time by the Court or the Debtors without further notice other than by such adjournment being announced in open court or by a Notice of Adjournment filed with the Court and served on all parties entitled to notice.

IMPORTANT INFORMATION REGARDING VOTING ON THE PLAN

Voting Record Date. The voting record date is June 23, 2021 (the “Voting Record Date”), which is the date for determining which Holders of Claims in Classes 3, 4A, 4B, 6, and 9 and Interests in Class 7 are entitled to vote on the Plan.

Voting Deadline. The deadline for voting on the Plan is July 30, 2021, at 4:00 p.m. prevailing Central Time (the “Voting Deadline”). If you received a Solicitation Package including a Ballot and intend to vote on the Plan you must: (a) follow the instructions carefully; (b) complete all of the required information on the Ballot; and (c) execute and return your completed Ballot according to and as set forth in detail in the voting instructions so that it is actually received by the Debtors’ claims, notice, and solicitation agent, Stretto (the “Claims, Notice, and Solicitation Agent”) on or before the Voting Deadline. A failure to follow such instructions may disqualify your vote.

CRITICAL INFORMATION REGARDING OBJECTING TO THE PLAN

Article X of the Plan contains Release, Exculpation, and Injunction provisions, and Article X.E contains a Third-Party Release. Thus, you are advised to review and consider the Plan carefully because your rights might be affected thereunder.

Binding nature of the Plan:

If confirmed, the Plan will bind all Holders of Claims or Interests to the maximum extent permitted by applicable law, whether or not such Holder will receive or retain any property or interest in property under the Plan, has filed a Proof of Claim in these Chapter 11 Cases, or failed to vote to accept or reject the Plan or voted to reject the Plan.

Plan and Disclosure Statement Objection Deadline. The deadline for filing objections to the Plan and final approval of the Disclosure Statement is July 30, 2021, at 4:00 p.m., prevailing Central Time (the “Plan and Disclosure Statement Objection Deadline”). All objections to the relief sought at the Combined Hearing must: (a) be in writing; (b) conform to the Bankruptcy Rules, the Bankruptcy Local Rules, and any orders of the Court; (c) state, with particularity, the legal and factual basis for the objection and, if practicable, a proposed modification to the Plan (or related materials) that would resolve such objection; and (d) be filed with the Court so as to be actually received on or before the Plan and Disclosure Statement Objection Deadline.

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ADDITIONAL INFORMATION

Obtaining Solicitation Materials. The materials in the Solicitation Package are intended to be self-explanatory. If you should have any questions or if you would like to obtain additional solicitation materials (or paper copies of solicitation materials), please feel free to contact the Debtors’ Claims, Notice, and Solicitation Agent, by: (a) calling the Debtors’ restructuring hotline at 855-923-1038 (toll free) or 949-236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected]. You may also obtain copies of any pleadings filed in these chapter 11 cases for a fee via PACER at: https://ecf.txsb.uscourts.gov/. Please be advised that the Claims, Notice, and Solicitation Agent is authorized to answer questions about, and provide additional copies of, solicitation materials, but may not advise you as to whether you should vote to accept or reject the Plan.

The Plan Supplement. The Debtors will file the Plan Supplement on or before seven days prior to the Plan and Disclosure Statement Objection Deadline and will serve notice on all Holders of Claims entitled to vote on the Plan, which will: (a) inform parties that the Debtors filed the Plan Supplement; (b) list the information contained in the Plan Supplement; and (c) explain how parties may obtain copies of the Plan Supplement.

RELEASES AND EXCULPATION

Releases and Exculpation. Article X of the Plan contains release, exculpation, and injunction provisions, and Article X.E contains a Third-Party Release. Thus, you are advised to review and consider the Plan carefully because your rights might be affected thereunder.

Under the Plan, “Released Party” means each of, in its capacity as such: (a) the Debtors; (b) the Plan Administrator and Post-Effective Date Debtor; (c) the Replacement DIP Lender; (d) the Replacement DIP Agent; (e) the Committee; (f) each member of the Committee; (g) the Chief Restructuring Officer; (h) Portage Point; (i) the Independent Director; and (j) each Related Party of each Entity in the foregoing clauses (a) through (i); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Released Party”. Notwithstanding the foregoing, neither Mr. Bouchard nor any other Bouchard Interested Party shall be a “Released Party”.

Under the Plan, “Releasing Parties” means, collectively, and in each case in its capacity as such: (a) the Debtors; (b) Post-Effective Date Debtor; (c) Wells Fargo; (d) the Replacement DIP Lender; (e) the Replacement DIP Agent; (f) the Committee; (g) each member of the Committee; (h) the Chief Restructuring Officer; (i) Portage Point; (j) the Independent Director; (k) all Holders of Claims or Interests; and (l) each Related Party of each Entity in the foregoing clauses (a) through (k); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Releasing Party”; provided, further, that, notwithstanding the foregoing, all rights, claims, and defenses, if any, based on or

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relating to Avoidance Actions that may be brought with respect to transactions with Mr. Bouchard or any other Bouchard Interested Party are expressly reserved.

Article X.D of the Plan provides for a Debtor release (the “Debtor Release”):

Effective as of the Effective Date, pursuant to section 1123(b) of the Bankruptcy Code, for good and valuable consideration, the adequacy of which is hereby confirmed, on and after the Effective Date, each Released Party is deemed released and discharged by each and all of the Debtors, the Post-Effective Date Debtor, and their Estates, in each case on behalf of themselves and their respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post-Effective Date Debtor, or their Estates, as applicable, whether known or unknown, foreseen or unforeseen, in law, equity or otherwise, that the Debtors, the Post-Effective Date Debtor, or their Estates or Affiliates would have been legally entitled to assert in their own right (whether individually or collectively) or on behalf of the Holder of any Claim against, or Interest in, a Debtor or other Entity, based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the management, ownership, or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in-or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, as applicable, any of the foregoing and related prepetition transactions, the Disclosure Statement, the Plan, or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, or the Plan (including, for the avoidance of doubt, the Plan Supplement), the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release (1) any post-Effective Date obligations of any Person or other Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document, instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan, including the assumption of the Indemnification Provisions as set forth in the Plan, (2) any Retained Causes of Action, or (3) any Cause of Action that is a Litigation Trust Cause of Action.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Debtor Release, which includes by

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reference each of the related provisions and definitions contained in the Plan, and further, shall constitute the Bankruptcy Court’s finding that the foregoing Debtor Release is: (a) in exchange for the good and valuable consideration provided by the Released Parties, including, without limitation, the Released Parties’ contributions to facilitating the Plan Transactions and implementing the Plan; (b) a good faith settlement and compromise of the Claims and Interests released by the foregoing Debtor Release; (c) in the best interests of the Debtors and their Estates and all Holders of Claims and Interests; (d) fair, equitable, and reasonable; (e) given and made after due notice and opportunity for hearing; and (f) a bar to any of the Debtors, the Post-Effective Date Debtor, or their respective Estates asserting any claim or Cause of Action released pursuant to the foregoing Debtor Release.

Article X.E of the Plan provides for a Third Party Release (the “Third Party Release”):

Effective as of the Effective Date, for good and valuable consideration, the adequacy of which is hereby confirmed, including the obligations of the Debtors under the Plan and the contributions of the Released Parties to facilitate and implement the Plan, to the fullest extent permissible under applicable law, each Releasing Party, in each case on behalf of itself and its respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, is deemed to have conclusively, absolutely, unconditionally, irrevocably, and forever, released and discharged each Debtor, the Post- Effective Date Debtor, and Released Party from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, foreseen or unforeseen, in law, equity, or otherwise, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post-Effective Date Debtor, or their respective Estates, that such Entity would have been legally entitled to assert (whether individually or collectively), based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the management, ownership or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in- or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, any of the foregoing, the Disclosure Statement, the Plan (including, for the avoidance of doubt, the Plan Supplement), or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other related act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release any post-Effective Date obligations of any Person or Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document,

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instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Third-Party Release, which includes by reference each of the related provisions and definitions contained herein, and, further, shall constitute the Bankruptcy Court’s finding that the foregoing Third-Party Release is: (a) consensual; (b) essential to the Confirmation of the Plan; (c) given in exchange for a substantial contribution and for the good and valuable consideration provided by the Released Parties that is important to the success of the Plan; (d) a good faith settlement and compromise of the Claims and Interests released by the foregoing Third-Party Release; (e) in the best interests of the Debtors and their Estates; (f) fair, equitable, and reasonable; (g) given and made after due notice and opportunity for hearing; and (h) a bar to any of the Releasing Parties asserting any claim or Cause of Action released pursuant to the foregoing Third-Party Release.

Article X.F of the Plan provides for an Exculpation (the “Exculpation”):

Effective as of the Effective Date, to the fullest extent permissible under applicable law and without affecting or limiting either the Debtor Release or the Third-Party Release, no Exculpated Party shall have or incur, and each Exculpated Party is released and exculpated from any Cause of Action for any claim related to any act or omission in connection with, relating to, or arising out of, the formulation, preparation, dissemination, negotiation, entry into, or filing of, as applicable, the Chapter 11 Cases, the Disclosure Statement, the Plan, consummation of the Sale Transaction, or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement or the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related act or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date (including, for the avoidance of doubt, providing any legal opinion requested by any Entity regarding any transaction, contract, instrument, document, or other agreement contemplated by the Plan or the reliance by any Exculpated Party on the Plan or the Confirmation Order in lieu of such legal opinion), except for claims related to any act or omission that is determined in a Final Order of a court of competent jurisdiction to have constituted actual fraud, willful misconduct, or gross negligence, but in all respects such Entities shall be entitled to reasonably rely upon the advice of counsel with respect to their duties and responsibilities pursuant to the Plan. The Exculpated Parties have, and upon completion of the Plan shall be deemed to have, participated in good faith and in compliance with the applicable laws with regard to the solicitation of votes and distribution of consideration pursuant to the Plan and, therefore, are not, and on account of such distributions shall not be, liable at any time for the violation of any applicable law, rule, or regulation governing the solicitation of acceptances or rejections of the Plan or such distributions made pursuant to the Plan.

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Article X.G of the Plan provides for an Injunction (the “Injunction”):

Effective as of the Effective Date, pursuant to section 524(a) of the Bankruptcy Code, to the fullest extent permissible under applicable law, and except as otherwise expressly provided in the Plan or for obligations issued or required to be paid pursuant to the Plan or the Confirmation Order, all Entities that have held, hold, or may hold Claims or Interests or Causes of Action that have been released, discharged, or are subject to exculpation are permanently enjoined, from and after the Effective Date, from taking any of the following actions against, as applicable, the Debtors, the Post-Effective Date Debtor, the Litigation Trust, the Litigation Trustee, the Exculpated Parties, or the Released Parties: (1) commencing or continuing in any manner any action or other proceeding of any kind on account of or in connection with or with respect to any such Claims or Interests or Causes of Action; (2) enforcing, attaching, collecting, or recovering by any manner or means any judgment, award, decree, or order against such Entities on account of or in connection with or with respect to any such Claims or Interests or Causes of Action; (3) creating, perfecting, or enforcing any encumbrance of any kind against such Entities or the property or the estates of such Entities on account of or in connection with or with respect to any such Claims or Interests or Causes of Action; (4) asserting any right of setoff, subrogation, or recoupment of any kind against any obligation due from such Entities or against the property of such Entities on account of or in connection with or with respect to any such Claims or Interests or Causes of Action unless such Holder has Filed a motion requesting the right to perform such setoff on or before the Effective Date, and notwithstanding an indication of a Claim or Interest or otherwise that such Holder asserts, has, or intends to preserve any right of setoff pursuant to applicable law or otherwise; and (5) commencing or continuing in any manner any action or other proceeding of any kind on account of or in connection with or with respect to any such Claims or Interests or Causes of Action released or settled or subject to exculpation pursuant to the Plan; provided, that, for the avoidance of doubt, the Litigation Trust and the Litigation Trustee shall not be enjoined from pursuing any Litigation Trust Cause of Action; provided further, that, for the avoidance of doubt, to the fullest extent permissible under applicable law, any Entity is enjoined and restrained from: (a) interfering with or otherwise impeding, directly or indirectly, the Debtors’ or Post Effective Date Debtor’s business, as applicable, including but not limited to (i) the management of the Debtors’ and Post-Effective Date Debtor’s, as applicable, Estates and (ii) decisions concerning the purchase or sale of any assets, including the Sale Transaction, on behalf of the Debtors’ and Post-Effective Date Debtor’s, as applicable, Estates; (b) interfering with or otherwise impeding, directly or indirectly, the Litigation Trust Assets or the rights, powers, and duties of the Litigation Trust and Litigation Trustee; (c) otherwise violating section 362(a) of the Bankruptcy Code; (d) seeking to terminate management agreements and/or operating agreements (collectively, (a)-(d) constitute the “Prohibited Conduct”); (e) conspiring, colluding, or collaborating with (x) Mr. Bouchard, (y) any Entity owned and/or controlled by Mr. Bouchard, and/or (z) any person or Entity acting on behalf of Mr. Bouchard or any Entity owned and/or controlled by him, to, directly or indirectly, engage in any Prohibited Conduct; and (f) engaging in any Prohibited Conduct with respect to any of the Debtors, the Post-Effective Date Debtor, the Litigation Trust, or the Litigation Trustee.

Upon entry of the Confirmation Order, all Holders of Claims and Interests and their respective current and former employees, agents, officers, directors, principals, and direct

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and indirect Affiliates shall be enjoined from taking any actions to interfere with the implementation or Consummation of the Plan. Except as otherwise set forth in the Confirmation Order, each Holder of an Allowed Claim or Allowed Interest, as applicable, by accepting, or being eligible to accept, distributions under or Reinstatement of such Claim or Interest, as applicable, pursuant to the Plan, shall be deemed to have consented to the injunction provisions set forth in this Article X.G.

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Houston, Texas July 9, 2021

/s/ Matthew D. Cavenaugh JACKSON WALKER L.L.P. KIRKLAND & ELLIS LLP Matthew D. Cavenaugh (TX Bar No. 24062656) KIRKLAND & ELLIS INTERNATIONAL LLP Genevieve M. Graham (TX Bar No. 24085340) Ryan Blaine Bennett, P.C. (admitted pro hac vice) 1401 McKinney Street, Suite 1900 Whitney Fogelberg (admitted pro hac vice) Houston, Texas 77010 300 North LaSalle Street Telephone: (713) 752-4200 Chicago, Illinois 60654 Facsimile: (713) 752-4221 Telephone: (312) 862-2000 Email: [email protected] Facsimile: (312) 862-2200 [email protected] Email: [email protected] [email protected]

- and -

KIRKLAND & ELLIS LLP KIRKLAND & ELLIS INTERNATIONAL LLP Christine A. Okike, P.C. (admitted pro hac vice) 601 Lexington Avenue New York, New York 10022 Telephone: (212) 446-4800 Facsimile: (212) 446-4900 Email: [email protected]

Co-Counsel to the Debtors Co-Counsel to the Debtors and Debtors in Possession and Debtors in Possession

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Exhibit B

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July 9, 2021

Via First Class Mail

RE: Bouchard Transportation Co., Inc., No. 20-34682 (DRJ) (Jointly Administered)

TO ALL HOLDERS OF CLAIMS AND INTEREST ENTITLED TO VOTE ON THE PLAN:

Bouchard Transportation Co., Inc. and its affiliated debtors and debtors in possession (collectively, the “Debtors”)1 each filed a voluntary petition for relief under chapter 11 of title 11 of the United States Code in the United States Bankruptcy Court for the Southern District of Texas (the “Court”) on September 28, 2020, and September 29, 2020 (as applicable to each debtor, the “Petition Date”).

You have received this letter and the enclosed materials because you are entitled to vote on the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”) as described in the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”). On June 23, 2021 the Court entered an order (the “Disclosure Statement Order”): (a) authorizing the Debtors to solicit acceptances for the Plan; (b) conditionally approving the Disclosure Statement as containing “adequate information” pursuant to section 1125 of the Bankruptcy Code; (c) approving the solicitation materials and documents to be included in the solicitation packages (the “Solicitation Packages”); and (d) approving procedures for soliciting, receiving, and tabulating votes on the Plan, and for filing objections to confirmation of the Plan and final approval of the Disclosure Statement.

You are receiving this letter because you are entitled to vote on the Plan. Therefore, you should read this letter carefully and discuss it with your attorney. If you do not have an attorney, you may wish to consult one.

In addition to this cover letter, the enclosed materials comprise your Solicitation Package, and were approved by the Court for distribution to Holders of Claims and Interests in connection with the solicitation of votes to accept the Plan. The Solicitation Package consists of the following:

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

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a. a Ballot, together with detailed voting instructions and a pre-addressed, postage prepaid return envelope;

b. this letter;

c. the Combined Hearing Notice;

d. such other materials as the Court may direct.

ACCESS TO PLAN AND DISCLOSURE STATEMENT:

IMPORTANT: To access electronic versions of the Plan, the Disclosure Statement, the Solicitation and Voting Procedures, and the Disclosure Statement Order (without exhibits, except the Solicitation and Voting Procedures), please visit https://cases.stretto.com/bouchard. If you would like paper copies containing the materials, please contact Stretto by calling (855) 923-1038 (toll free) or (949) 236-4792 (international); or email [email protected].

Bouchard Transportation Co., Inc. (on behalf of itself and each of the other Debtors) has approved the filing of the Plan and the solicitation of votes to accept the Plan. The Debtors believe that the acceptance of the Plan is in the best interests of their estates, Holders of Claims and Interests, and all other parties in interest. Moreover, the Debtors believe that any alternative other than Confirmation of the Plan could result in extensive delays and increased administrative expenses, which, in turn, likely would result in smaller distributions (or no distributions) on account of Claims and Interests asserted in these chapter 11 cases.

The Debtors strongly urge you to properly and timely submit your Ballot casting a vote to accept the Plan in accordance with the instructions in your Ballot.

The Voting Deadline is July 30, 2021 at 4:00 p.m. prevailing Central Time.

The materials in the Solicitation Package are intended to be self-explanatory. If you should have any questions, however, please feel free to contact Stretto, the claims, notice, and solicitation agent retained by the Debtors in these chapter 11 cases (the “Claims, Notice, and Solicitation Agent”), by: (a) calling the Debtors’ restructuring hotline at 855-923-1038 (toll free) or 949-236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected]. You may also obtain copies of any pleadings filed in these chapter 11 cases for a fee via PACER at: https://ecf.txs.uscourts.gov/. Please be advised that the Claims, Notice, and Solicitation Agent is authorized to answer questions about, and provide

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additional copies of, the solicitation materials, but may not advise you as to whether you should vote to accept or reject the Plan.

Sincerely,

Matthew Ray Chief Restructuring Officer Bouchard Transportation Co., Inc. on its own behalf and for each of the Debtors

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Exhibit C

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

SOLICITATION AND VOTING PROCEDURES

PLEASE TAKE NOTICE THAT on June 23, 2021, the United States Bankruptcy Court for the Southern District of Texas (the “Court”) entered an order (the “Disclosure Statement Order”): (a) conditionally approving the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”) as containing “adequate information” pursuant to section 1125 of the Bankruptcy Code; (b) authorizing the above-captioned debtors and debtors in possession (collectively, the “Debtors”), to solicit votes on the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”);2 (c) approving the solicitation materials and documents to be included in the solicitation packages (the “Solicitation Packages”); and (d) approving procedures for soliciting, receiving, and tabulating votes on the Plan and for filing objections to confirmation of the Plan and final approval of the Disclosure Statement.

A. The Voting Record Date.

The Court has established June 23, 2021, as the record date for purposes of determining which Holders of Claims in Class 3 (Prepetition Revolving Credit Facility Secured Claims), Class 4A (General Unsecured Claims), Class 4B (Prepetition Revolving Credit Facility Deficiency Claims), Class 6 (Section 510(c) Claims), Class 7 (Existing Equity Interests), and Class 9 (Section 510(b) Claims) are entitled to vote on the Plan (the “Voting Record Date”).

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

2 Capitalized terms not otherwise defined herein shall have the same meaning as set forth in the Disclosure Statement or the Plan, as applicable.

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B. The Voting Deadline.

The Court has approved July 30, 2021, at 4:00 p.m. (prevailing Central Time) as the voting deadline (the “Voting Deadline”) with respect to the Plan. The Debtors may extend the Voting Deadline, in their discretion, without further order of the Court. To be counted as votes to accept or reject the Plan, all ballots (each, a “Ballot”) must be properly executed, completed, and returned in the pre-paid, pre-addressed return envelope included in the Solicitation Package or delivered by: (1) first class mail; (2) overnight courier; (3) personal delivery; or (4) via E-Ballot, so that they are actually received, in any case, no later than the Voting Deadline by Stretto (the “Claims, Notice, and Solicitation Agent”).3 All Ballots should be sent to: (1) if by mail, Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; if by hand delivery or overnight courier, Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; or via the online balloting portal at https://cases.stretto.com/bouchard. Ballots submitted by facsimile, email or other means of electronic transmission (other than E-Ballot) will not be counted.

C. Form, Content, and Manner of Notices.

The Solicitation Package.

The following materials shall constitute the solicitation package (the “Solicitation Package”):

a. the applicable form of Ballot, in substantially the form annexed as Schedule 3A, 3B, 3C, 3D, 3E, or 3F to the Disclosure Statement Order, as applicable, and applicable voting instructions, together with a pre-addressed, postage prepaid return envelope;

b. a cover letter, in substantially the form annexed as Schedule 4 to the Disclosure Statement Order describing the contents of the Solicitation Package, including instructions to obtain access, free of charge, to the Disclosure Statement and the Disclosure Statement Order (without exhibits, except the Solicitation and Voting Procedures) via https://cases.stretto.com/bouchard and urging the Holders of Claims or Interests in each of the Voting Classes to vote to accept the Plan;

c. a notice of the Combined Hearing, in substantially the form annexed as Schedule 5 to the Disclosure Statement Order (the “Combined Hearing Notice”); and

d. any additional documents that the Court has ordered to be made available.

3 “Stretto” is the trade name of Bankruptcy Management Solutions, Inc., and its subsidiaries.

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Distribution of the Solicitation Package.

The Solicitation Package shall provide the Plan, the Disclosure Statement, and the Disclosure Statement Order (without schedules) in electronic format (i.e., flash drive format), and all other contents of the Solicitation Package, including Ballots and the Solicitation Procedures, shall be provided in paper format. Any party that receives the materials in electronic format but would prefer paper format may contact the Claims, Notice, and Solicitation Agent and request paper copies of the corresponding materials previously received in electronic format (to be provided at the Debtors’ expense) by: (a) calling the Debtors’ restructuring hotline at (855) 923-1038 (toll free) or (949) 236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected] and requesting paper copies of the corresponding materials previously received in electronic format (to be provided at the Debtors’ expense).

The Debtors shall serve, or cause to be served, all of the materials in the Solicitation Package on: (a) the U.S. Trustee; and (b) all parties who have requested service of papers in this case pursuant to Bankruptcy Rule 2002 as of the Voting Record Date. In addition, the Debtors shall mail, or cause to be mailed, on or before July 9, 2021, the Solicitation Package to all Holders of Claims or Interests in the Voting Classes who are entitled to vote, as described in section D below.

To avoid duplication and reduce expenses, the Debtors will use commercially reasonable efforts to ensure that any Holder of a Claim who has filed duplicative Claims against a Debtor (whether against the same or multiple Debtors) that are classified under the Plan in the same Voting Class receives no more than one Solicitation Package (and, therefore, one Ballot) on account of such Claim and with respect to that Class as against that Debtor.

Resolution of Disputed Claims or Interests for Voting Purposes; Resolution Event.

a. Absent further order of the Court, the Holder of a Claim or Interest in a Voting Class that is the subject of a pending objection filed with the Bankruptcy Court by the Debtor on a “reduce and allow” basis shall be entitled to vote such Claim or Interest in the reduced amount contained in such objection.

b. If a Claim or Interest in a Voting Class is subject to an objection other than a “reduce and allow” objection that is filed with the Court more than seven days before the Voting Deadline: (i) the Debtors shall cause the applicable Holder to be served with a disputed claim or interest notice substantially in the form annexed as Schedule 8 to the Disclosure Statement Order (which notice shall be served together with such objection); and (ii) the applicable Holder shall not be entitled to vote to accept or reject the Plan on account of such claim or interest unless a Resolution Event (as defined herein) occurs as provided herein.

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c. If a Claim or Interest in a Voting Class is subject to an objection other than a “reduce and allow” objection that is filed with the Court fewer than seven days before the Voting Record Date, the applicable Claim or Interest shall be deemed temporarily allowed for voting purposes only, without further action by the Holder of such Claim or Interest and without further order of the Court, unless the Court orders otherwise.

d. A “Resolution Event” means the occurrence of one or more of the following events no later than two business days prior to the Voting Deadline:

i. an order of the Court is entered allowing such Claim or Interest pursuant to section 502(b) of the Bankruptcy Code, after notice and a hearing;

ii. an order of the Court is entered temporarily allowing such Claim or Interest for voting purposes only pursuant to Bankruptcy Rule 3018(a), after notice and a hearing;

iii. a stipulation or other agreement is executed between the Holder of such Claim or Interest and the Debtors resolving the objection and allowing such Claim or Interest in an agreed upon amount;

iv. a stipulation or other agreement is executed between the Holder of such Claim or Interest and the Debtors temporarily allowing the Holder to vote its Claim or Interest in an agreed upon amount; or

v. the pending objection is voluntarily withdrawn by the objecting party.

e. No later than two business days following the occurrence of a Resolution Event, the Debtors shall cause the Claims, Notice, and Solicitation Agent to distribute via email, hand delivery, or overnight courier service a Solicitation Package and a pre-addressed, postage prepaid envelope to the relevant Holder to the extent such Holder has not already received a Solicitation Package containing a Ballot.

Non-Voting Status Notices for Unimpaired Classes.

Certain Holders of Claims and Interests that are not classified in accordance with section 1123(a)(1) of the Bankruptcy Code or who are not entitled to vote because they are Unimpaired or otherwise presumed to accept the Plan under section 1126(f) of the Bankruptcy Code will receive only the Non-Voting Status Notice for Unimpaired Claims Conclusively Presumed to Accept the Plan, substantially in the form annexed as Schedule 7 to the Disclosure Statement Order. Such notice will instruct these Holders as to how they may obtain copies of the documents contained in the Solicitation Package (excluding Ballots).

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Notices in Respect of Executory Contracts and Unexpired Leases.

Counterparties to Executory Contracts and Unexpired Leases that receive an Assumption Notice or a Rejection Notice, substantially in the forms attached as Schedule 9 and Schedule 10 to the Disclosure Statement Order, respectively, may file an objection to the Debtors’ proposed assumption, rejection, and/or cure amount, as applicable. Such objections must be filed with the Court no later than fourteen days after service of the Debtors’ proposed assumption or rejection of such executory contract or unexpired lease.

D. Voting and Tabulation Procedures.

1. Holders of Claims Entitled to Vote.

Only the following Holders of Claims and Interests in the Voting Classes shall be entitled to vote with regard to such Claims:

a. Holders of Claims who, on or before the Voting Record Date, have timely filed a Proof of Claim (or an untimely Proof of Claim that has been Allowed as timely by the Bankruptcy Court under applicable law on or before the Voting Record Date) that (i) has not been expunged, disallowed, disqualified, withdrawn, or superseded prior to the Voting Record Date, and (ii) is not the subject of a pending objection, other than a “reduce and allow” objection, filed with the Bankruptcy Court by the Debtors at least seven days prior to the Voting Deadline, pending a Resolution Event as provided herein; provided that a Holder of a Claim that is the subject of a pending objection on a “reduce and allow” basis shall receive a Solicitation Package and be entitled to vote such Claim in the reduced amount contained in such objection absent a further order of the Court;

b. Holders of Class 7 Interests, based on the number of shares owned as reflected in the Debtors’ applicable books and records as of the Voting Record Date, which Interests are not the subject of a pending objection, other than a “reduce and allow” objection, filed with the Bankruptcy Court by the Debtors at least seven days prior to the Voting Deadline, pending a Resolution Event as provided herein; provided that a Holder of an Interest that is the subject of a pending objection on a “reduce and allow” basis shall receive a Solicitation Package and be entitled to vote such Interest in the reduced amount contained in such objection absent a further order of the Court;

c. Holders of Claims that are listed in the Schedules; provided that if the applicable Claims Bar Date has not expired prior to the Voting Record Date, a Claim listed in the Schedules as contingent, disputed, or unliquidated (excluding such scheduled contingent, disputed, or unliquidated Claims that have been paid or superseded by a timely Filed Proof of Claim) shall be allowed to vote only in the amount of $1.00;

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d. Holders whose Claims arise (i) pursuant to an agreement or settlement with the Debtors, as reflected in a document filed with the Court, (ii) in an order entered by the Court, or (iii) in a document executed by the Debtors pursuant to authority granted by the Court, in each case regardless of whether a Proof of Claim has been filed;

e. Holders of any Disputed Claim or Interest that has been temporarily allowed to vote on the Plan pursuant to Bankruptcy Rule 3018;

f. with respect to any Entity described in subparagraphs (a) through (d) above, who, on or before the Voting Record Date, has transferred such Entity’s Claim or Interest to another Entity, the assignee of such Claim or Interest; provided that such transfer or assignment has been fully effectuated pursuant to the procedures set forth in Bankruptcy Rule 3001(e) and such transfer is reflected on the Claims Register on the Voting Record Date;

g. any Holders of Claims or Interests who have filed or purchased duplicate Claims or Interests within the same Voting Class shall be provided with only one Solicitation Package and one ballot for voting a single Claim in such Class, regardless of whether the Debtors have objected to such duplicate Claims or Interests; and

h. Holders of Claims filed in an amount of $0.00 are not entitled to vote.

2. Establishing Claim and Interest Amounts for Voting Purposes.4

Class 3 Claims. The Claim amount of Class 3 Claims for voting purposes only will be established based on the aggregate face amount of the then-outstanding amount under the Prepetition Revolving Credit Facility, plus any unreimbursed amounts thereunder, and any accrued but unpaid interest on such unreimbursed amounts through the Effective Date, plus any fees, charges, expenses, reimbursement obligations, indemnification obligations, prepayment premiums, and other amounts due under the Wells Fargo Loan Agreement, but solely to the extent such amount constitutes an Allowed Secured Claim.

Class 4A, Class 4B, Class 6, and Class 9 Claims. Each holder of a General Unsecured Claim, Prepetition Revolving Credit Facility Deficiency Claim, Section 510(c) Claim, and Section 510(b) Claim, as of the Voting Record Date shall be entitled to vote the amount of its Claim established in accordance with the procedures set forth below for Filed and Scheduled Claims.

If a Proof of Claim is amended, the last filed claim shall be subject to these rules and will supersede any earlier filed claim, and any earlier filed claim will be disallowed for voting purposes. Except as otherwise ordered by the Court, any amendments to Proofs of Claim after the Voting Record Date shall not be considered for purposes of these tabulation rules.

4 The amounts described herein are for description purposes only and are qualified in all respects by the Plan and Disclosure Statement which shall control.

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Class 7 Interests. The Claim amount of Class 7 Interests for voting purposes only will be established based on the number of shares owned as reflected in the Debtors’ applicable books and records as of the Voting Record Date.

Filed and Scheduled Claims and Interests. The Claim or Interest amount established herein shall control for voting purposes only and shall not constitute the Allowed amount of any Claim or Interest. Moreover, any amounts filled in on Ballots by the Debtors through the Claims, Notice, and Solicitation Agent, as applicable, are not binding for purposes of allowance and distribution. In tabulating votes, the following hierarchy shall be used to determine the amount of the Claim or Interest associated with each claimant’s vote:

a. the Claim or Interest amount (i) settled and/or agreed upon by the Debtors, as reflected in a document filed with the Court, including the Plan, (ii) set forth in an order of the Court, or (iii) set forth in a document executed by the Debtors pursuant to authority granted by the Court;

b. the Claim or Interest amount Allowed (temporarily or otherwise) pursuant to a Resolution Event under Section C.3(d) of these Solicitation and Voting Procedures;

c. the Claim amount contained in a Proof of Claim that has been timely filed by the applicable Claims Bar Date (or deemed timely filed by the Court under applicable law), except for any amounts asserted on account of any interest accrued after the Petition Date; provided, however, that any Ballot cast by a Holder of a Claim who timely files a Proof of Claim in respect of (i) a contingent Claim or a Claim in a wholly-unliquidated or unknown amount (based on a reasonable review by the Debtors and/or the Notice and Claims Agent) that is not the subject of an objection will count toward satisfying the numerosity requirement of section 1126(c) of the Bankruptcy Code and will count as a Ballot for a Claim in the amount of $1.00 solely for the purposes of satisfying the dollar amount provisions of section 1126(c) of the Bankruptcy Code, and (ii) a partially liquidated and partially unliquidated Claim, which Claim will be Allowed for voting purposes only in the liquidated amount; provided further, however, that to the extent the Claim amount contained in the Proof of Claim is different from the Claim amount set forth in a document filed with the Court as referenced in subparagraph (a) above, the Claim amount in the document filed with the Court shall supersede the Claim amount set forth on the respective Proof of Claim for voting purposes;

d. the Claim or Interest amount listed in the Schedules (to the extent such Claim or Interest is not superseded by a timely filed Proof of Claim or Proof of Interest); provided that such Claim is not scheduled as contingent, disputed, or unliquidated and/or has not been paid; provided, however, that if the applicable Claims Bar Date has not expired prior to the Voting Record Date, a Claim listed in the Schedules as contingent, disputed, or unliquidated shall be allowed to vote only in the amount of $1.00; and

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e. in the absence of any of the foregoing, such Claim shall be disallowed for voting purposes unless otherwise ordered by the Bankruptcy Court.

3. Voting and Ballot Tabulation Procedures.

The following voting procedures and standard assumptions shall be used in tabulating Ballots, subject to the Debtors’ right to waive any of the below specified requirements for completion and submission of Ballots so long as such requirement is not otherwise required by the Bankruptcy Code, Bankruptcy Rules, or Bankruptcy Local Rules:

a. except as otherwise provided in the Solicitation and Voting Procedures, unless the Ballot being furnished is timely submitted on or prior to the Voting Deadline (as the same may be extended by the Debtors or by order of the Bankruptcy Court), the Debtors shall reject such Ballot as invalid and, therefore, shall not count it in connection with Confirmation of the Plan;

b. the Claims, Notice, and Solicitation Agent will date-stamp all Ballots when received. The Claims, Notice, and Solicitation Agent shall retain the original Ballots and an electronic copy of the same for a period of one year after the Effective Date of the Plan, unless otherwise ordered by the Court.

c. The Claims, Notice, and Solicitation Agent shall tabulate Ballots on a Debtor-by-Debtor basis;

d. the Debtors will file with the Bankruptcy Court, not later than August 3, 2021, a certification of votes (the “Voting Report”). The Voting Report shall, among other things, certify to the Court in writing the amount and number of allowed claims or allowed interests of each class accepting or rejecting the plan, and delineate every Ballot that does not conform to the voting instructions or that contains any form of irregularity including, but not limited to, those Ballots that are late or (in whole or in material part) illegible, unidentifiable, lacking signatures or lacking necessary information, received via facsimile, or damaged (each, an “Irregular Ballot”). The Voting Report shall indicate the Debtors’ intentions with regard to each such Irregular Ballot. The Voting Report shall be served upon the Committee and the U.S. Trustee;

e. the method of delivery of Ballots to be sent to the Claims, Notice, and Solicitation Agent is at the election and risk of each Holder, and except as otherwise provided, a Ballot will be deemed delivered only when the Claims, Notice, and Solicitation Agent actually receives the executed Ballot;

f. an executed Ballot (hard copy or E-Ballot) is required to be submitted by the Entity submitting such Ballot. Ballots submitted by facsimile, email or other means of electronic transmission will not be counted;

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g. no Ballot should be sent to the Debtors, the Debtors’ agents (other than the Claims, Notice, and Solicitation Agent), the Debtors’ financial or legal advisors, and if so sent will not be counted;

h. if multiple Ballots are received from the same Holder with respect to the same Claim or Interest prior to the Voting Deadline, the last properly executed Ballot timely received will be deemed to reflect that voter’s intent and will supersede and revoke any prior received Ballot;

i. Holders must vote all of their Claims or Interests within a particular Class either to accept or reject the Plan and may not split any votes. Accordingly, a Ballot that partially rejects and partially accepts the Plan will not be counted. Further, to the extent there are multiple Claims or Interest within the same Class, the applicable Debtor may, in its discretion, aggregate the Claims or Interests of any particular Holder within a Class for the purpose of counting votes;

j. a person signing a Ballot in its capacity as a trustee, executor, administrator, guardian, attorney in fact, officer of a corporation, or otherwise acting in a fiduciary or representative capacity of a Holder of Claims or Interests must indicate such capacity when signing;

k. the Debtors, subject to a contrary order of the Court, may waive any defects or irregularities as to any particular Irregular Ballot at any time, either before or after the close of voting, and any such waivers will be documented in the Voting Report;

l. neither the Debtors, nor any other Entity, will be under any duty to provide notification of defects or irregularities with respect to delivered Ballots other than as provided in the Voting Report, nor will any of them incur any liability for failure to provide such notification;

m. unless waived or as ordered by the Court, any defects or irregularities in connection with deliveries of Ballots must be cured prior to the Voting Deadline or such Ballots will not be counted;

n. in the event a designation of lack of good faith is requested by a party in interest under section 1126(e) of the Bankruptcy Code, the Court will determine whether any vote to accept and/or reject the Plan cast with respect to that Claim or Interest will be counted for purposes of determining whether the Plan has been accepted and/or rejected;

o. subject to any order of the Court, the Debtors reserve the right to reject any and all Ballots not in proper form, the acceptance of which, in the opinion of the Debtors, would not be in accordance with the provisions of the Bankruptcy Code or the Bankruptcy Rules; provided that any such rejections will be documented in the Voting Report;

9

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p. if a Claim or Interest has been estimated or otherwise Allowed only for voting purposes by order of the Court, such Claim or Interest shall be temporarily Allowed in the amount so estimated or Allowed by the Court for voting purposes only, and not for purposes of allowance or distribution;

q. if an objection to a Claim or Interest is filed, such Claim or Interest shall be treated in accordance with the procedures set forth herein;

r. the following Ballots shall not be counted in determining the acceptance or rejection of the Plan: (i) any Ballot that is illegible or contains insufficient information to permit the identification of the Holder of such Claim or Interest; (ii) any Ballot cast by any Entity that does not hold a Claim or Interest in a Voting Class; (iii) any Ballot cast for a Claim scheduled as unliquidated, contingent, or disputed for which no Proof of Claim was timely filed by the Voting Record Date, provided that if the applicable Claims Bar Date has not expired prior to the Voting Record Date, a Claim listed in the Schedules as contingent, disputed, or unliquidated shall be allowed to vote only in the amount of $1.00; (iv) any unsigned Ballot or Ballot lacking an original signature; (v) any Ballot not marked to accept or reject the Plan or marked both to accept and reject the Plan; and (vi) any Ballot submitted by any Entity not entitled to vote pursuant to the procedures described herein;

s. after the Voting Deadline, no Ballot may be withdrawn or modified without the prior written consent of the Debtors;

t. the Debtors are authorized to enter into stipulations with the Holder of any Claim or Interest agreeing to the amount of a Claim or Interest for voting purposes; and

u. where any portion of a single Claim or Interest has been transferred to a transferee, all Holders of any portion of such single Claim or Interest will be (i) treated as a single creditor or equity holder for purposes of the numerosity requirements in section 1126(c) or 1126(d) of the Bankruptcy Code, as applicable (and for the other voting and solicitation procedures set forth herein), and (ii) required to vote every portion of such Claim or Interest collectively to accept or reject the Plan. In the event that (a) a Ballot, (b) a group of Ballots within a Voting Class received from a single creditor, or (c) a group of Ballots received from the various Holders of multiple portions of a single Claim or Interest partially reject and partially accept the Plan, such Ballots shall not be counted.

E. Amendments to the Disclosure Statement and Solicitation and Voting Procedures.

The Debtors reserve the right to make non-substantive or immaterial changes to the Plan, Disclosure Statement, Ballots, Combined Hearing Notice, Solicitation Packages, Non-Voting

10

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Status Notices, Publication Notice, Cover Letter, Solicitation and Voting Procedures, Assumption and Rejection Notices, Voting and Tabulation Procedures, and related documents without further order of the Court, including, without limitation, changes to correct typographical and grammatical errors, if any, and to make conforming changes among the Plan and the Disclosure Statement and any other materials in the Solicitation Package before their distribution.

* * * * *

11

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Exhibit C

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 34 of 144

IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

BALLOT FOR VOTING TO ACCEPT OR REJECT THE DEBTORS’ COMBINED DISCLOSURE STATEMENT AND JOINT CHAPTER 11 PLAN AND OPT OUT FORM

CLASS 3 BALLOT FOR HOLDERS OF PREPETITION REVOLVING CREDIT FACILITY SECURED CLAIMS

PLEASE READ AND FOLLOW THE ENCLOSED INSTRUCTIONS FOR COMPLETING BALLOTS CAREFULLY BEFORE COMPLETING THIS BALLOT.

ACCESS TO PLAN AND DISCLOSURE STATEMENT:

THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER MAY BE ACCESSED, FREE OF CHARGE, AT HTTPS://CASES.STRETTO.COM/BOUCHARD BY CLICKING ON THE “SOLICITATION MATERIALS” TAB ON THE HOME PAGE.

IF YOU WOULD PREFER A PAPER FORMAT OF THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER, OR IF YOU NEED TO OBTAIN ADDITIONAL SOLICITATION PACKAGES, PLEASE CONTACT STRETTO (THE “CLAIMS, NOTICE, AND SOLICITATION AGENT”) BY: (A) CALLING THE DEBTORS’ RESTRUCTURING HOTLINE AT (855) 923-1038 (TOLL FREE) OR (949) 236-4792 (INTERNATIONAL); (B) VISITING THE DEBTORS’ RESTRUCTURING WEBSITE AT: HTTPS://CASES.STRETTO.COM/BOUCHARD; (C) WRITING TO BOUCHARD BALLOT PROCESSING, C/O STRETTO, 410 EXCHANGE, SUITE 100, IRVINE, CA 92602; AND/OR (D) EMAILING [email protected] AND REQUESTING PAPER COPIES OF THE CORRESPONDING MATERIALS PREVIOUSLY RECEIVED IN ELECTRONIC FORMAT (TO BE PROVIDED AT THE DEBTORS’ EXPENSE).

FOR YOUR VOTE TO BE COUNTED, THIS BALLOT MUST BE COMPLETED, EXECUTED, AND RETURNED SO AS TO BE ACTUALLY RECEIVED BY THE CLAIMS, NOTICE, AND SOLICITATION AGENT BY JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME (THE “VOTING DEADLINE”) IN ACCORDANCE WITH THE FOLLOWING:

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747. Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 35 of 144

The above-captioned debtors and debtors in possession (collectively, the “Debtors”), are soliciting votes with respect to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”) as described in the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”). The Bankruptcy Court for the Southern District of Texas (the “Bankruptcy Court”) has conditionally approved the Disclosure Statement as containing adequate information pursuant to section 1125 of the Bankruptcy Code, by entry of an order on June 23, 2021 (the “Disclosure Statement Order”). Bankruptcy Court approval of the Disclosure Statement does not indicate approval of the Plan by the Bankruptcy Court. Capitalized terms used but not otherwise defined herein shall have the meanings set forth in the Plan.

You are receiving this Class 3 ballot (this “Ballot”) because you are a Holder of a Prepetition Revolving Credit Facility Secured Claim in Class 3 as of June 23, 2021 (the “Voting Record Date”). Accordingly, you have a right to vote to accept or reject the Plan.

Your rights are described in the Disclosure Statement, which was included in the package (the “Solicitation Package”) you are receiving with this Ballot (as well as the Disclosure Statement Order and certain other materials). If you received Solicitation Package materials in electronic format and desire paper copies, or if you need to obtain additional Solicitation Packages, you may obtain them by: (a) calling the Debtors’ restructuring hotline at (855) 923-1038 (toll free) or (949) 236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected] and requesting paper copies of the corresponding materials previously received in electronic format (to be provided at the Debtors’ expense).

This Ballot may not be used for any purpose other than for casting votes to accept or reject the Plan and making certain certifications with respect to the Plan. If you believe you have received this Ballot in error, or if you believe that you have received the wrong ballot, please contact the Claims, Notice, and Solicitation Agent immediately at the address, telephone number, or email address set forth above.

You should review the Disclosure Statement and Plan before you vote. You may wish to seek legal advice concerning the Plan and the Plan’s classification and treatment of your Claim. Your Claim has been placed in Class 3, Prepetition Revolving Credit Facility Secured Claims, under the Plan. If you hold Claims in more than one Class, you will receive a ballot for each Class in which you are entitled to vote.

Item 1. Amount of Claim.

The undersigned hereby certifies that as of the Voting Record Date, the undersigned was the Holder of a Class 3 Prepetition Revolving Credit Facility Secured Claim in the following aggregate unpaid amount (insert amount in box below):

Voting Amount: $ ______

Item 2. Vote on Plan.

The Holder of the Class 3 Prepetition Revolving Credit Facility Secured Claim against the Debtor set forth in Item 1 votes to (please check one):

ACCEPT (vote FOR) the Plan REJECT (vote AGAINST) the Plan

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Your vote on the Plan will be applied to each applicable Debtor in the same manner and in the same amount as indicated in Item 1 and Item 2 above.

Item 3. Important information regarding the Third Party Release and option to Opt Out of Third Party Release.2

Article X of the Plan contains Release, Exculpation, and Injunction Provisions, and Article X.E contains a Third-Party Release. Thus, you are advised to review and consider the Plan carefully because your rights might be affected thereunder.

THE ENCLOSED OPT OUT FORM PROVIDES YOU WITH THE OPTION TO NOT GRANT THE VOLUNTARY RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. YOU WILL RECEIVE THE SAME TREATMENT ON ACCOUNT OF YOUR CLAIM OR INTEREST UNDER THE PLAN REGARDLESS OF WHETHER YOU ELECT TO NOT GRANT THE RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. ALL HOLDERS OF CLAIMS OR INTERESTS THAT DO NOT ELECT TO OPT OUT OF THE PROVISIONS CONTAINED IN ARTICLE X.E OF THE PLAN USING THE ENCLOSED OPT OUT FORM OR BY FILING AN OBJECTION TO THE RELEASES CONTAINED IN THE PLAN WITH THE COURT WILL BE DEEMED TO HAVE EXPRESSLY, UNCONDITIONALLY, GENERALLY, INDIVIDUALLY, AND COLLECTIVELY CONSENTED TO THE RELEASE AND DISCHARGE OF ALL CLAIMS AND CAUSES OF ACTION AGAINST THE DEBTORS AND THE RELEASED PARTIES. BY ELECTING TO OPT OUT OF THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN, YOU WILL FOREGO THE BENEFIT OF OBTAINING THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN IF YOU WOULD OTHERWISE BE A RELEASED PARTY IN CONNECTION THEREWITH.

This Notice is being sent to you for informational purposes only. If you have questions with respect to your rights under the Plan or about anything stated herein or if you would like to obtain additional information, contact the Claims, Notice, and Solicitation Agent.

Article X.E of the Plan contains the following provision:

2 Under the Plan, “Released Party” means each of, in its capacity as such: (a) the Debtors; (b) the Plan Administrator and Post-Effective Date Debtor; (c) the Replacement DIP Lender; (d) the Replacement DIP Agent; (e) the Committee; (f) each member of the Committee; (g) the Chief Restructuring Officer; (h) Portage Point; (i) the Independent Director; and (j) each Related Party of each Entity in the foregoing clauses (a) through (i); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Released Party”. Notwithstanding the foregoing, neither Mr. Bouchard nor any other Bouchard Interested Party shall be a “Released Party”.

Under the Plan, “Releasing Parties” means, collectively, and in each case in its capacity as such: (a) the Debtors; (b) Post-Effective Date Debtor; (c) Wells Fargo; (d) the Replacement DIP Lender; (e) the Replacement DIP Agent; (f) the Committee; (g) each member of the Committee; (h) the Chief Restructuring Officer; (i) Portage Point; (j) the Independent Director; (k) all Holders of Claims or Interests; and (l) each Related Party of each Entity in the foregoing clauses (a) through (k); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is

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Effective as of the Effective Date, for good and valuable consideration, the adequacy of which is hereby confirmed, including the obligations of the Debtors under the Plan and the contributions of the Released Parties to facilitate and implement the Plan, to the fullest extent permissible under applicable law, each Releasing Party, in each case on behalf of itself and its respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, is deemed to have conclusively, absolutely, unconditionally, irrevocably, and forever, released and discharged each Debtor, the Post-Effective Date Debtor, and Released Party from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, foreseen or unforeseen, in law, equity, or otherwise, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post- Effective Date Debtor, or their respective Estates, that such Entity would have been legally entitled to assert (whether individually or collectively), based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the management, ownership or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in- or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, any of the foregoing, the Disclosure Statement, the Plan (including, for the avoidance of doubt, the Plan Supplement), or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other related act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release any post-Effective Date obligations of any Person or Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document, instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Third-Party Release, which includes by reference each of the related provisions and definitions contained herein, and, further, shall constitute the Bankruptcy Court’s finding that the foregoing Third-Party Release is: (a) consensual; (b) essential to the Confirmation of the Plan; (c) given in exchange for a substantial contribution and for the good and valuable consideration provided by the Released Parties that is important to the success of the Plan; (d) a good faith settlement and compromise of the Claims and Interests released by the foregoing Third-Party Release; (e) in the best interests of the Debtors and their Estates; (f) fair, equitable, and reasonable; (g) given and made after due notice and opportunity for hearing; and (h) a bar to any of the Releasing Parties asserting any claim or Cause of Action released pursuant to the foregoing Third Party Release.

The Holder of the Class 3 Prepetition Revolving Credit Facility Secured Claim set forth in Item 1 elects to:

 Opt Out of the Third Party Release.

not resolved prior to entry of the Confirmation Order) shall not be a “Releasing Party”; provided, further, that, notwithstanding the foregoing, all rights, claims, and defenses, if any, based on or relating to Avoidance Actions that may be brought with respect to transactions with Mr. Bouchard or any other Bouchard Interested Party are expressly reserved.

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Item 4. Certifications.

By signing this Ballot, the undersigned certifies to the Bankruptcy Court and the Debtors that:

(a) as of the Voting Record Date, the undersigned is either: (i) the Holder of the Class 3 Prepetition Revolving Credit Facility Secured Claims being voted; or (ii) an authorized signatory for an Entity that is a Holder of the Class 3 Prepetition Revolving Credit Facility Secured Claims being voted;

(b) the undersigned (or in the case of an authorized signatory, the Holder) has received instructions to access a copy of the Plan, the Disclosure Statement, and the Solicitation Package and acknowledges that the solicitation is being made pursuant to the terms and conditions set forth therein;

(c) the undersigned has cast the same vote with respect to all Class 3 Prepetition Revolving Credit Facility Secured Claims in a single Class; and

(d) no other Ballots with respect to the amount of the Class 3 Prepetition Revolving Credit Facility Secured Claims identified in Item 1 have been cast or, if any other Ballots have been cast with respect to such Class 3 Claims, then any such earlier Ballots are hereby revoked.

Name of Holder: (Print or Type)

Signature:

Name of Signatory: (If other than Holder)

Title:

Address:

Telephone Number:

Email:

Date Completed:

PLEASE COMPLETE, SIGN, AND DATE THIS BALLOT AND RETURN IT (WITH AN ORIGINAL SIGNATURE) PROMPTLY VIA FIRST CLASS MAIL (OR THE ENCLOSED REPLY ENVELOPE PROVIDED), OVERNIGHT COURIER, OR HAND DELIVERY TO:

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

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Alternatively, to submit your Ballot or Opt Out Form via the Claims, Notice, and Solicitation Agent’s online balloting portal, visit https://cases.stretto.com/bouchard. Click on the “Submit E-Ballot” section of the website and follow the instructions to submit your Ballot.

IMPORTANT NOTE: You will need the following information to retrieve and submit your customized electronic Ballot:

Unique E-Ballot Password:______

The Claims, Notice, and Solicitation Agent’s online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots submitted by facsimile, email or other means of electronic transmission will not be counted.

Each E-Ballot Password is to be used solely for voting only those Claims described in Item 1 of your electronic Ballot. Please complete and submit an electronic Ballot for each E-Ballot Password you receive, as applicable. Creditors who cast a Ballot using the Claims, Notice, and Solicitation Agent’s online portal should NOT also submit a paper Ballot.

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED BY THIS BALLOT MAY BE COUNTED TOWARD CONFIRMATION OF THE PLAN ONLY IN THE DISCRETION OF THE DEBTORS.

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Class 3 — Prepetition Revolving Credit Facility Secured Claims INSTRUCTIONS FOR COMPLETING THIS BALLOT

1. The Debtors are soliciting the votes of Holders of Claims and Interests with respect to the Plan. Capitalized terms used in the Ballot or in these instructions but not otherwise defined therein or herein shall have the meaning set forth in the Plan. PLEASE READ THE PLAN AND DISCLOSURE STATEMENT CAREFULLY BEFORE COMPLETING THIS BALLOT.

2. The Plan can be confirmed by the Court and thereby made binding upon you if it is accepted by the Holders of at least two-thirds in amount and more than one-half in number of Claims in at least one class of creditors that votes on the Plan and if the Plan otherwise satisfies the requirements for confirmation provided by section 1129(a) of the Bankruptcy Code. Please review the Disclosure Statement for more information.

3. To ensure that your Ballot is counted, you must either: (a) complete and submit this hard copy Ballot or (b) vote through the Debtors’ online balloting portal accessible through the Debtors’ case website https://cases.stretto.com/bouchard. Ballots will not be accepted by electronic mail or facsimile.

4. Use of Hard Copy Ballot. To ensure that your hard copy Ballot is counted, you must: (a) complete your Ballot in accordance with these instructions; (b) clearly indicate your decision either to accept or reject the Plan in the boxes provided in Item 2 of the Ballot; and (c) clearly sign and return your original Ballot as instructed herein.

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

5. Use of Online Ballot Portal (E-Ballot). To ensure that your electronic Ballot is counted, please follow the instructions on the Debtors’ case administration website at: https://cases.stretto.com/bouchard. You will need to enter your unique E-Ballot identification number indicated above. The online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots will not be accepted by facsimile or electronic means (other than the online balloting portal).

6. Your Ballot (whether submitted by hard copy or through the online balloting portal) must be returned to the Claims, Notice, and Solicitation Agent so as to be actually received by the Claims, Notice, and Solicitation Agent on or before the Voting Deadline. The Voting Deadline is July 30, 2021, at 4:00 p.m., prevailing Central Time.

7. If a Ballot is received after the Voting Deadline and if the Voting Deadline is not extended, it may be counted only in the sole and absolute discretion of the Debtors. Additionally, the following Ballots will not be counted:

(a) any Ballot that partially rejects and partially accepts the Plan; (b) Ballots sent to the Debtors, the Debtors’ agents (other than the Claims, Notice, and Solicitation Agent), or the Debtors’ financial or legal advisors; (c) Ballots sent by facsimile or any electronic means other than via the online balloting portal; (d) any Ballot that is illegible or contains insufficient information to permit the identification of the Holder of the Claim; (e) any Class 3 Ballot cast by an Entity that does not hold a Claim in Class 3; (f) any Ballot submitted by a Holder not entitled to vote pursuant to the Plan; (g) any unsigned Ballot; (h) any non-original Ballot; and/or (i) any Ballot not marked to accept or reject the Plan or any Ballot marked both to accept and reject the Plan.

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8. The method of delivery of Ballots to the Claims, Notice, and Solicitation Agent is at the election and risk of each Holder of a Claim. Except as otherwise provided herein, such delivery will be deemed made only when the Claims, Notice, and Solicitation Agent actually receives the originally executed Ballot. In all cases, Holders should allow sufficient time to assure timely delivery.

9. If multiple Ballots are received from the same Holder of a Claim with respect to the same Claim prior to the Voting Deadline, the latest, timely received, and properly completed Ballot will supersede and revoke any earlier received Ballots.

10. You must vote all of your Prepetition Revolving Credit Facility Secured Claims within Class 3 either to accept or reject the Plan and may not split your vote. Further, if a Holder has multiple Prepetition Revolving Credit Facility Secured Claims within Class 3, the Debtors may, in their discretion, aggregate the Claims of any particular Holder with multiple Claims within Class 3 for the purpose of counting votes.

11. This Ballot does not constitute, and shall not be deemed to be, (a) a Proof of Claim or (b) an assertion or admission of a Claim.

12. Please be sure to sign and date your Ballot. If you are signing a Ballot in your capacity as a trustee, executor, administrator, guardian, attorney in fact, officer of a corporation, or otherwise acting in a fiduciary or representative capacity, you must indicate such capacity when signing and, if required or requested by the Claims, Notice, and Solicitation Agent, the Debtors, or the Bankruptcy Court, must submit proper evidence to the requesting party to so act on behalf of such Holder. In addition, please provide your name and mailing address if it is different from that set forth on the attached mailing label or if no such mailing label is attached to the Ballot.

13. If you hold Claims in more than one Class under the Plan, you may receive more than one ballot coded for each different Class. Each ballot votes only your Claims indicated on that ballot, so please complete and return each ballot that you received.

PLEASE MAIL YOUR BALLOT PROMPTLY IF YOU HAVE ANY QUESTIONS REGARDING THIS BALLOT, THESE VOTING INSTRUCTIONS OR THE PROCEDURES FOR VOTING, PLEASE CALL THE RESTRUCTURING HOTLINE AT: (855) 923-1038 (TOLL FREE) or (949) 236-4792 (INTERNATIONAL) OR EMAIL [email protected].

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE THE VOTING DEADLINE, WHICH IS ON JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED HEREBY MAY BE COUNTED ONLY IN THE DISCRETION OF THE DEBTORS.

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Exhibit E

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Exhibit E Class 4A Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 State Zip Country 3D Marine USA Inc Attn: Joanne Barton Gillespie 12411 Donna Lane Houston TX 77067 507 Summit LLC c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359 Frank Pusinelli, An Authorized 58/68 S. Service Road SPE LLC Person 625 RXR Plaza Uniondale NY 11556 A.R.M. Marine Supply, LLC Attn: Michael Menditto 1249 86th Street Brooklyn NY 11228 Accp Inc. 4034 N. Barnett Way Missouri City TX 77459 Acme Industrial Inc Joseph Martucci III 326-328 Front Street Staten Island NY 10304 Air Compressor Energy Systems, Inc. (Aces) PO Box 77082 Baton Rouge LA 70879 Airgas USA, LLC 110 West 7th Street Suite 1300 Tulsa OK 74119 Airweld, Inc Attn: John William Zak 94 Marine Street Farmingdale NY 11735 Alabama State Port Authority POB 1588 Mobile AL 36633-1588 All Bellows Company LLC Po Box 272823 Tampa FL 33618 American Bureau of Shipping Attn: Kate Belmont, Esq. 1701 City Plaza Drive Spring TX 77389 American Express National Bank c/o Becket and Lee LLP PO Box 3001 Malvern PA 19355-0701 Amerisafety Inc. 1016 Channelside Drive Tampa FL 33602 Amspec Services, LLC 1249 South River Road Suite 204 Cranbury NJ 08512 Anchor Marine & Industrial Supply PO Box 58645 Houston TX 77258 Answering Service Care, LLC Attn: Luis Bedoya 541 South State Road Ste 7 Margate FL 33068 Anytime Hot Shot & Delivery , LLC PO Box 682348 Franklin TN 37068-2348 Aracor, Inc. Po Box 2767 Corpus Christi TX 78403 Arcosa Marine Components, LLC Attn: Legal Department 500 N. Akard St. Suite 400 Dallas TX 75201 Assay Technology 1382 Stealth Street Livermore CA 94551 Atlantic Technical Management Po Box 5048 New Britain PA 18901 Aurand Mfg. & Equip. Co. Attn: Michael E Noeth 1210 Ellis Street Cincinnati OH 45223-1843 Axis Pipeline Construction Group, Inc. 709 E. 17Th St. Houston TX 77008 Baker Lyman - New Orleans 5250 Veterans Memorial Blvd Metairie LA 70006 Baltimore Line Handling Company 223 Meadowvale Road Lutherville MD 21093 Barges , LLC PO Box 9731 New Haven CT 06536 Barish Pump Company, Inc. 61 Allen Boulevard Farmingdale NY 11735 Belle Chasse Marine Transportation, LLC Gordon "Rob" Konrad PO Box 10890 Jefferson LA 70181 3544 FM 3512; Aransas Best Bet Line Handlers Attn: Peter S. MacCallum III PO Box 4977 Pass, TX 78336 Corpus Christi TX 78469-4977 Beyond Green Air Services Attn: Charles Bergmann Jr 9100 Republic Airport Ste 3 Farmingdale NY 11735 BFG Marine Mfg. & Supply 200 Candlewood Rd. Bay Shore NY 11706 Attn: Geoffrey D. Ferrer & 3 WTC, 175 Greenwich Billybey Marina Services, LLC c/o Cozen O'Connor, P.C. Christopher Raleigh Street - 55th Floor New York NY 10007 Biscayne Bay Pilots 2911 Port Boulevard Miami FL 33132 Bkeppel Consulting 2096 Rt 9 N Cape May Court House NJ 08210 Blackwater Harvey, LLC 660 La Bauve Drive Westwego LA 70094 Bomark Instruments Inc. 45 Carey Ave Suite 102 Butler NJ 07405 500 Old Country Road Suite Boris Benic & Associates, LLP 311 Garden City NY 11530 Boston Harbor Pilot Association, LLC 256 Marginal St. - Building 11 East Boston MA 02128 Boston Line & Service Co. Inc. Aaron Greenbaum 1100 Poydras Street Suite 2250 New Orleans LA 70163 Bradford Capital Holdings, LP Attn: Brian L. Brager PO Box 4353 Clifton NJ 07012 Braemar Technical Services 5 Hanover Square Ste #202 New York NY 10004 Broward County Board Of Comm. 1850 Eller Drive Fort Lauderdale FL 33316 Brown Diesel Works 4741 Arthur Kill Road PO Box 070099 Staten Island NY 10307-0001 Bryan Delfo Address Redacted Buck Kreihs Marine Repair, LLC Attn: Michael A Tonguis PO Box 53305 New Orleans LA 70153-3305 Buckeye Terminals, LLC 1501 Se 20Th Street Fort Lauderdale FL 33316 Byrne, Rice & Turner, Inc. 1172 Camp St New Orleans LA 70130 Cajun Hydraulics And Crane Service, LLC 3499 Grand Caillou Road Houma LA 70363 Calgon Carbon UV Technologies LLC (d/b/a Hyde Marine) Attn: Sandy Skvarca 3000 GSK Drive Moon Township PA 15108

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 7 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 44 of 144

Exhibit E Class 4A Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Camin Cargo Control, Inc. PO Box 731485 Dallas TX 75373-1485 Cape Ann Marine Towing & Salvage Po Box 22502 Ft Lauderdale FL 33335 Captain Blaine C. Bisegna Address Redacted Captain George E. Lee Address Redacted Captain Jeffrey A. Smith Address Redacted Captain Matthew Patnaude Address Redacted Captain Michael F. Duarte Address Redacted Captain Richard J. Brady Address Redacted Captain Russell C. Mitchum Jr Address Redacted Captain William F. Potter Address Redacted Carlsen'S Mooring And Marine Services 4711 Gulf Ave. Groves TX 77619 Carrier Corporation Attn: Sonia Whitmarsh PO Box 4804 Bldg TR-5 Syracuse NY 13221 CDW Direct, LLC Attn: Vida Krug 200 N. Milwaukee Ave Customer # 4439883-01 Vernon Hills IL 60061 Cen-Tex Marine Fabricators, Inc. 110 Ne 1St Street Smithville TX 78957-2000 Cg Industrial Safety PO Box 2328 Peekskill NY 10566 Chalos & Co, P.C. Briton P. Sparkman 7210 Tickner Street Houston TX 77055 Charles Ertle Address Redacted Charles Lewis Address Redacted Charleston Branch Pilot'S Association PO Box 179 Charleston SC 29402 Chesapeake & Interstate Pilots PO Box 56380 Virginia Beach VA 23456-6380 Clean Harbors Env. Services Po Box 3442 Boston MA 02241-3442 Clement Forlizzi Address Redacted Cls, LLC 106 Evance Ct Summerville SC 29485 Coast Cardiovascular Consulta 1720A Medical Park Drive Suite 340 Biloxi MS 39532-2127 Coastal Bend Mooring & Marine PO Drawer C Corpus Christi TX 78469 Coastal Calibrations & Repairs LLC Po Box 429 Kenner LA 70063 Coastal Marine Equipment, Inc. 20995 Coastal Parkway Gulfport MS 39503-9517 Compressed Air Systems LLC Po Box 1165 Youngsville LA 70592 Constitution Federal Pilots LLC 3411 Spanish Trail Apt. 418 Delray Beach FL 33483 Cornell-Carr Company, Inc. Po Box 253 Monroe CT 06468 CRG Financial LLC Attn: Jeffrey Kaplan 100 Union Ave. Suite 240 Cresskill NJ 07626 CRG FINANCIAL LLC (AS ASSIGNEE OF MURPHY, ROGERS, SLOSS, GAMBEL & TOMPKINS) 100 Union Avenue Cresskill NJ 07626 CRG FINANCIAL LLC (AS ASSIGNEE OF OWEN PETERSEN & COMPANY) 100 Union Avenue Cresskill NJ 07626 Crocco Landscaping 65 East 14Th Street Huntington Station NY 11746 Csc 251 Little Falls Drive Wilmington DE 19808-1674 Custom Fuel Services LLC c/o Borges & Associates, LLC Atten: Wanda Borges 575 Underhill Blvd. Suite 118 Syosset NY 11791 Dann Marine Towing, Lc 299 Boatyard Rd Po Box 250 Chesapeake City MD 21915 Daugherty, Fowler, Peregrin, Haught & Jenson, PC Attn: Danny Meier 100 N Broadway Ave Suite 2000 Oklahoma City OK 73102 David Goodwin Iii Address Redacted David Verrett Address Redacted Dbs Electronics PO Box 980 Bridge City TX 77611 Dechert LLP Po Box 7247-6643 Philadelphia PA 19170-6643 Declan Conneely Address Redacted Delta Marine & Envirement Services 61134 St Tammany Ave Slidell LA 70460 Dependable Distribution Servic 1301 Union Ave. Pennsauken NJ 08110 Diamond Marine Services P O Box 355 Wadsworth TX 77483 Dm Airports, Ltd 8 Airport Road Morristown NJ 07960 Dover Marine Mfg & Supply Co. 98 North Industry Ct Deer Park NY 11729 Duramax Marine LLC 17990 Great Lakes Parkway Hiram OH 44234-9681 EBI Cranes, LLC Attn: Kristina Henderson 124 Finish Line Lane Houma LA 70360 ECM Maritime Services, LLC 1 Selleck St Suite 1C Norwalk CT 06855

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 2 of 7 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 45 of 144

Exhibit E Class 4A Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Electronic Marine Systems 800 Ferndale Place Rahway NJ 07065 Energy Transfer Partners, L.P. Sunoco Pipeline LP Po Box 8500-53848 Philadelphia PA 19178-3848 Engine Monitor Inc. PO Box 930734 Atlanta GA 31193-0734

c/o Arnold & Itkin LLP Jason Itkin, Eric Hannan Noah Wexler and Ben Bireley 6009 Memorial Drive Houston TX 77007 Eric Hinman Address Redacted Erl Commercial Marine, Inc. 2560 Charlestown Road Po Box 1026 New Albany IN 47151-1026 Fastenal Company c/o Legal Department Attn: John Milek 2001 Theurer Boulevard Winona MN 55987 First Choice Marine Supply 120 N. 20Th Street Tampa FL 33605 First State Bank PO Box 429 Orange TX 77631 FlightSafety International Attn: Philip Chan 290 Broadhollow Road Suite 402E Melville NY 11747 Florida Detroit Diesel-Allison PO Box 16595 Jacksonville FL 32245-6595 Florida Medical Clinic, PA 38135 Market Square Zephyrhlls FL 33542-7502 Freehill Hogan & Mahar 80 Pine Street New York NY 10005-1759 Freeport Marine Supply Co. 47 West Merrick Road Po Box 840 Freeport NY 11520-0840 Fresh Meadow Mechanical Service, LLC 65-01 Fresh Meadow Lane Fresh Meadows NY 11365 Future Care Inc. 757 Third Avenue Suite 1703 New York NY 10017 Galco Industrial Electronics Inc 26010 Pinehurst Dr Madison Heights MI 48071 Gallagher Marine Systems Attn: Eva Pomaranski 305 Harper Dr Moorestown NJ 08057-3229 Garba Industrial Service, Inc 4915 Denver Street Tampa FL 33619 Gator Supply Co., Inc. PO Box 790 Harvey LA 70059 Gerard Didier Address Redacted Gmt Electronics, Inc. 171 Main Street South River NJ 08882 Grainger Dept 825581465 Palatine IL 60038-0001 Greater Baton Rouge Port Commission Stephen W. Glusman P. O. Box 388 Port Allen LA 70767 Greater Florida Anesthesiologist Po Box 17426 Clearwater FL 33762-0426 Green Grass Guy Inc. Attn: Joseph Lattanzio 9 Ruth Street Huntington NY 11743 Green Marine & Industrial Equip Co., Inc. 1111 Central Ave Metairie LA 70001 Griffin Service Corporation 606 N Gilchrist Ave Tampa FL 33606-1320 Griggs Waterfront, Inc 22 Clearbrook Lane Sewell NJ 08080 Gulf Marine & Industrial Supplies, Inc. 5501 Jefferson Hwy Suite 116 New Orleans LA 70123 Guy Berry Address Redacted Hamilton, Miller & Birthisel, LLP 100 South Ashley Drive Suite 1210 Tampa FL 33602 Harbor Docking & Towing Company 4902 Ihles Road Ste B Lake Charles LA 70605 Harry Guy Address Redacted Helm Operations Software Inc. 1208 Wharf Street, Suite 400 Victoria BC V8W 3B9 Canada Henry A Petter Supply Company LLC 5110 Charter Oak Drive Paducah KY 42001 Henry Thompson Jr. Address Redacted Hill Marine Refrigeration, Inc. 608 South Broad Street Mobile AL 36603 Hodgson Russ 140 Pearl Street Buffalo NY 14202 Houston Mooring Company John Taylor PO BOX 9382 Houston TX 77261-9382 Hutchison Sport Medicine 3881 South Nova Rd Port Orange FL 32127-0525 Idwholesaler 1501 Nw 163Rd Street Miami FL 33169 Independence Valve & Supply 2420 Pasadena Freeway Pasadena TX 77506 Independent Docking Pilots,Inc PO Box 12923 Newport News VA 23606 Independent Refrigeration Services LLC 100 Herman Drive Belle Chasse LA 70037 Interport Pilots Agency, Inc PO BOX 236 Port Monmouth NJ 07758-0236 Iron Mountain Information Management, LLC Joseph P. Corrigan One Federal Street 7th Floor Boston MA 02110 Jason Taylor Address Redacted Jeffery Veit Address Redacted Jesse Hart Studios 241 East Broadway Suite 1A New York NY 10002 John Archard Address Redacted John H Fairbanks Md Address Redacted John Kirkconnell Address Redacted

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 3 of 7 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 46 of 144

Exhibit E Class 4A Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Jonny White'S C And W Air Repair, Inc. Po Box 1191 Marrero LA 70073 Jowa Usa, Inc. 59 Porter Road Littleton MA 01460-1431 K&L Gates LLP James A. Wright, III State Street Financial Center One Lincoln Street Boston MA 02111-2950 Karl Senner, Inc Stephen Valdes 25 West 3rd Kenner LA 70062 Kauff McGuire & Margolis LLP James Cunningham 950 Third Avenue 14th Floor New York NY 10022 Kozusko Harris Duncan 1666 K Street Nw Suite 400 Washington DC 20006-1219 L & R Midland, Inc. PO Box 19458 Houston TX 77224 Lake Charles Pilots, Inc. Karen Smith 4902 Ihles Road, Suite A Lake Charles LA 70605 Land Sea And Air Consulting & Testing 910 Route 109 Lindenhurst NY 11757 Law Valve Of Texas 2560 Charlestown Road New Albany IN 47150 Lemoine Marine Refrigeration Attn: Teresa Coulon P.O. Box 1028 Harvey LA 70059 Liberty Mutual Insurance Company Attn: J. Lawson 100 Liberty Way Dover NH 03820 Logan Laboratories LLC Po Box 637695 Cincinnati OH 45263-7695 M.J. Hogan & Company, Inc. 20 Brampton Road Garden City GA 31408 Malcolm M. Dienes, LLC 611 N. Causeway Blvd. Maetirie LA 70001 Manatee County Port Authority Port Manatee 300 Tampa Bay Way Palmetto FL 34221-6608 Marine Chemists of Galveston, Jeff Zile Jeff Zile PO Box 16674 Galveston TX 77552-6674 Marine Industrial Gears & Services LLC P. O. Box 3335 Harvey LA 70059 Maritime Association Of The Port Of Ny/Nj 17 Battery Place Suite 913 New York NY 10004-1194 Maritime Chemist'S Services 4114 Harry Street Ste 210 Corpus Christi TX 78411-1912 Newport House, 15 The Maritime Technical International Inc. Po Box 232 Grange St Peter Port Guernsey GY1 4LA Channel Islands Mark Brandon Md 11 Ralph Pl. Suite 102 Staten Island NY 10304-4405 Markey Machinery Company 7266 8Th Avenue South Seattle WA 98108 Marlink, Inc Dept 3679 Po Box 123679 Dallas TX 75312-3679 Martin Energy Services LLC Attn: Scott McPerson Three Riverway Suite 400 Houston TX 77056 Martin, Ottaway, Van Hemmen &, Dolan, Inc. 172 Monmouth St Red Bank NJ 07701 Mca Associates., Inc. 8 Sound Shore Drive Greenwich CT 06830 Mcintosh Controls Corporation 218 Little Falls Road Unit 1 Cedar Grove NJ 07009 Mcmaster-Carr Supply Co. Po Box 7690 Chicago IL 60680-7690 Mcmurdo Inc 4296 Forbes Blvd Lanham MD 20706

MedAire, Inc. Attn: Andrea Soto 4722 N. 24th Street, Suite 450 Phoenix AZ 85016 Metro Lube 229 Arlington Ave Staten Island NY 10303 Metro Marine Design Associates 21 Bowdoin St Staten Island NY 10314-6109 Mid Coast Engine & Transmission, Inc. Billy Pearson PO Box 1822 Aransas Pass TX 78335-1822 Miller Marine Services 146 Beach St. Port Jefferson NY 11777 Miller'S Launch Pier 7 1/2 Staten Island NY 10301 Mjlf And Associates Attn: Mark Randolph Decrer 600 Summer St. Suite 420 Stamford CT 06901 Mmc International Corp. PO Box 960664 Inwood NY 11096-0664 Moore & Van Allen Po Box 198743 Atlanta GA 30384 Moran Shipping Agencies Inc Scott Peterson 106 Francis St Providence RI 02903-1117 Morgan Jackson c/o Ellzey & Associates, PLLC Attn: Jarrett L. Ellzey 1105 Milford Street Houston TX 77006 Motor Services Hugo Stamp, Inc. 3190 SW 4th Avenue Fort Lauderdale FL 33315 Mti Network Usa 100 First Stamford Place 6Th Floor Stamford CT 06902 Mullaney & Associates, LLC Pmb 349 230 N Maple Ave Ste B1 Marlton NJ 08053 Nance International Inc Attn: Tara Holland 2915 Milam Beaumont TX 77701 Nautical Chart Supply, Inc. 1479 73rd Street 1st Floor Brooklyn NY 11228 Bankruptcy Unit, HO2-R, Home Navigators Insurance Company C/o Hartford Fire Office Hartford CT 06155 New York Nautical Inc. 2821 Harvard Avenue Metaire LA 70006 New York State Department of Taxation and Finance c/o Bankruptcy Section PO Box 5300 Albany NY 12205-0300 Northeast Marine Pilots 243 Spring Street Newport RI 02840 Northeastern Air Management Corp. c/o Seyfarth Shaw LLP Attn: Edward M. Fox 620 Eighth Avenue New York NY 10018

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 4 of 7 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 47 of 144

Exhibit E Class 4A Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country O’Neika K. Davis and Shemeka Boatman- Blackshear c/o The Buzbee Law Firm 600 Travis Street, Suite 7300 Houston TX 77002 c/o USCG, National Pollution 2703 Martin Luther King Jr Oil Spill Liability Trust Fund Funds Center Attn: Derek Quincy Hardy Ave SE Washington DC 20593 Pacific Indemnity Company c/o Chubb Attn: Sherron Rowe-Hohn 202A Hall's Mill Road Whitehouse Station NJ 08889 Palfinger Marine Usa Inc 912 Hwy 90 East New Iberia LA 70560 Palmetto Beach Line Handlers PO Box 5495 Tampa FL 33675 Paul Berdy Address Redacted Paul Faller Address Redacted PEAK CREDIT LLC (AS ASSIGNEE TO CADDELL DRY DOCK AND REPAIR CO., INC.) C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359 Performance Electrical Services 115 Florida Street Farmingdale NY 11735 Perry Dampf Dispute Solutions 721 Government St Suite 102 Baton Rouge LA 70802 Phelps Dunbar LLP Attn: Miles Clements 365 Canal Street, Suite 2000 New Orleans LA 70130 Philadelphia Energy Solutions 3144 W Passyunk Ave Philadelphia PA 19145-5208 c/o Candace Schiffman, Senior 2331 CityWest Blvd., HQ-13- Phillips 66 Company Counsel N1364 Houston TX 77042 Pilots Assoc For The Bay & River Delaware 800 S. Columbus Blvd Philadelphia PA 19147 c/o Law Office of Patricia Williams Plains Marketing, L.P. Prewitt 2456 FM 112 Taylor TX 76574-4509 Plaquemines Port, Harbor PO Box 547 Belle Chasse LA 70037 Platts PO Box 848093 Dallas TX 75284-8093 4 World Trade Center, 24th Port Authority of New York and New Jersey Attn: Natalie D. Russell Floor 150 Greenwich Street New York NY 10007 Port Everglades Pilots Assoc. PO Box 13017 Port Evereglades FL 33316 Portland Docking Pilots, Inc. PO Box 64 Belfast ME 04915 Portland Pilots Inc. PO Box 7485 Portland ME 04112 Portnoy, Messinger, Pearl & Associates, Inc. 100 Jericho Quadrangle Suite 300 Jericho NY 11753 Poten & Partners 805 Third Ave New York NY 10022 7545 Progressive Bus. Publications 370 Technology Drive PO Box 3019 Malvern PA 19355 Pump Systems, LLC Attn: Andrew Walker PO Box 1810 Covington LA 70434 Q Con Corporation Attn: Tammie Sonnier 5041 Spencer Hwy. Suite 702 Pasadena TX 77505 Quality Resources, LLC Attn: Lucille Fisher 26380 Curtiss Wright Parkway Suite 303 Richmond Heights OH 44143 Radio Holland PO Box 973893 Dallas TX 75397 Recovered Energy, Inc. Attn: Kary Lewis 11455 N. Rio Vista Rd Pocatello ID 83202 Richard Loetterle Address Redacted Richie Richardson Address Redacted Richmond Ema Po Box 6198 Parsippany NJ 07054 Richmond University Medical Center Po Box 650292 Dallas TX 75265-0292 Rick Blake Address Redacted Rio Marine, Inc. c/o Baker Donelson Attn: Daniel J. Ferreti 1301 McKinney Suite 3700 Houston TX 77010 River Services 36 Clermont Drive Clermont NJ 08210 Robert Dunham Attn: Ryan Chapple 400 W. 15th Street Suite 900 Austin TX 78701 Robert Magill Address Redacted Roger Hall c/o Tabak, Mellusi & Shisha LLP Attn: Jacob Shisha 29 Broadway, Suite 2400 New York NY 10006 Rose Point Navigation Systems 18005 Ne 68Th Street Suite A100 Redmond WA 98052 Royston, Rayzor, Vickery & Williams LLP Attn: Blake Bachtel 306-22nd Street Suite 301 Galveston TX 77550 S.C. Engineering Co., Inc. 115 Strkyer Lane Building 4 Unit 4 Hillsborough NJ 08844 Sage Software, Inc. 14855 Collections Center Dr Chicago IL 60693 Scales Industrial Technologies 110 Voice Road Carle Place NY 11514 Scott Electric 2001 Port Ave Corpus Christie TX 78401 Scott Mcrae Address Redacted Attn: Richard Cruz, Business Securitas Security Services USA Inc Services Dept Manager 4330 Park Terrace Drive Westlake Village CA 91361 In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 5 of 7 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 48 of 144

Exhibit E Class 4A Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Separation Equipment Co., Inc. PO Box 1560 Brandon FL 33509 Sewart Supply, Inc. PO Drawer L Morgan City LA 70381 Shamrock Marine, LLC 13117 Leo Lambert Road St Amant LA 70774 Signature Bank Attn: David B. Grantz One Gateway Center Suite 2500 Newark NJ 07102 Skout Monitoring 270 South Service Road Suite 45 Melvile NY 11747 South Carolina State Ports Authority Teresa Softy 200 Ports Authority Drive Mount Pleasant SC 29464 A Unit of Northrop Grumman Sperry Marine Systems Corp. 1865 Industrial Blvd Harvey LA 70058 ST Engineering Halter Marine & Offshore d/b/a Halter Marine & Offshore Attn: David S. Bland c/o Bland & Partners PLLC 5500 Prytania St #618 New Orleans LA 70112 St. Johns Bar Pilot Assoc. 4910 Ocean Street Jacksonville FL 32233 Staples Business Advantage Attn: Tom Riggleman 7 Technology Circle Columbia SC 29203 Steele Electrical Contractor LLC PO Box 727 Castle Hayne NC 28429 Stuart Jet Center, LLC 2501 S.E. Aviation Way Stuart FL 34996 Suncoast Electrical Supply Attn: John Escobio PO Box 75941 Tampa FL 33675-0941 Survival Systems International Po Box 1855 34140 Valley Center Road Valley Center CA 92082 T&T Offshore, Inc. Deborah T. Busby 9723 Teichman Road Galveston TX 77554 Tampa Pain Relief Centers Po Box 636631 Cincinnati OH 45263-6631 Tech Oil Products, Inc. Po Box 733266 Dallas TX 75373-3266 Terremark North America LLC Po Box 864416 Orlando FL 32886-4416 Texas City Terminal Railway Co Port Of Texas City 2425 Sh 146 North Texas City TX 77590 Texas Marine Express LLC Po Box 1253 Kemah TX 77565 The Hiller Companies, Inc. Po Box 935434 Atlanta GA 31193-5434 The Rowland Company Po Box 12278 Philadelphia PA 19144 The Wall Street Journal Po Box 7020 Chicopee MA 01021-7020 The Whitmore Group Ltd 370 Old Country Road Garden City NY 11530 Thomas Cates Address Redacted Timothy D. Mcgovern, Agent 201 Edgewater St. Staten Island NY 10305 Timothy Lerette Attn: Ryan Chapple 400 W. 15th Street Suite 900 Austin TX 78701 Todd Janiszewski Address Redacted Tormar Shipping Agency 2560 Notre-Dame Lachine QC H8S 2G9 Canada Unclaimed Property Division of the Texas AAG Jason B. Binford, Texas Comptroller of Public Accounts Attorney General's Office P.O. Box 12548 MC-008 Austin TX 78711 Underwater Services Inc Attn: Richard Palmietto 4150 FM 1069 Aransas Pass TX 78336 Union Boatmen & Line Handlers, Inc. PO Box 161 Galveston TX 77553-161 Unique Sanitation Co. Inc. 35 Dale Street W Babylon NY 11704 United Instrument Co., LLC 55E Bergenline Ave Westwood NJ 07675 United Kingdom Mutual Steam Ship 90 Fenchurch Street London EC3M 4ST United Kigdom Universal Environmental Solutions, Inc. Po Box 76105 Tampa FL 33675 Vacuum Sales, Inc 51 Stone Road Lindenwold NJ 08021 Viking Life-Saving Equipment (America), Inc. c/o Glassberg & Glassberg, P.A. Attn: David M. Glassberg 13611 South Dixie Highway #109-514 Miami FL 33176 Vinik Marine Services, LLC 85 First Street Keyport NJ 07735 VMware, Inc. Brooks Beard and Rachael Shen 3401 Hillview Avenue Palo Alto CA 94304 Attn: Allison Colon & David S. VT Halter Marine, Inc. c/o Bland & Partners, LLC Bland 5500 Prytania St., Box 618 New Orleans LA 70115 W&O Supply, Inc. Po Box 933067 Atlanta GA 31193-3067 Weber Marine, LLC PO Box 2365 Gonzales LA 70707 800 North Shoreline Welder Leshin LLP Attn: James F. Buchanan One Shoreline Plaza Boulevard Suite 300 N. Corpus Christi TX 78401 c/o Small Business Lending Wells Fargo Bank, N.A. Division PO Box 29482 MAC S4101-08C Phoenix AZ 85038 West Bay Surgery Center 1401 West Bay Drive Largo FL 33770 Westerman Ball Ederer Miller Zucker & Sharfstein, LLP Attn: John W. Westerman, Esq. 1201 RXR Plaza Uniondale NY 11556 William Gibbons Address Redacted In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 6 of 7 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 49 of 144

Exhibit E Class 4A Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country William Odegaard Address Redacted Wilmington Tug, Inc. Attn: Christopher M. Rowland PO Box 389 New Castle DE 19720 Wilson Walton Intnl Inc. 3349 Route 138 Bldg C Suite E Wall NJ 07719 Windward Marine-Industrial 39 Francine Avenue West Caldwell NJ 07006 Winston & Strawn LLP Attn: CarrIe V. Hardman 200 Park Avenue New York NY 10166 Wintech International, LLC. 5020 Hazel Jones Road Bossier City LA 71111 Zurich American Insurance PO Box 68549 Schaumburg IL 60196

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 7 of 7 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 50 of 144

Exhibit F

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 51 of 144

IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

BALLOT FOR VOTING TO ACCEPT OR REJECT THE DEBTORS’ COMBINED DISCLOSURE STATEMENT AND JOINT CHAPTER 11 PLAN AND OPT OUT FORM

CLASS 4A BALLOT FOR HOLDERS OF GENERAL UNSECURED CLAIMS

PLEASE READ AND FOLLOW THE ENCLOSED INSTRUCTIONS FOR COMPLETING BALLOTS CAREFULLY BEFORE COMPLETING THIS BALLOT.

ACCESS TO PLAN AND DISCLOSURE STATEMENT:

THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER MAY BE ACCESSED, FREE OF CHARGE, AT HTTPS://CASES.STRETTO.COM/BOUCHARD BY CLICKING ON THE “SOLICITATION MATERIALS” TAB ON THE HOME PAGE.

IF YOU WOULD PREFER A PAPER FORMAT OF THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER, OR IF YOU NEED TO OBTAIN ADDITIONAL SOLICITATION PACKAGES, PLEASE CONTACT STRETTO (THE “CLAIMS, NOTICE, AND SOLICITATION AGENT”) BY: (A) CALLING THE DEBTORS’ RESTRUCTURING HOTLINE AT (855) 923-1038 (TOLL FREE) OR (949) 236-4792 (INTERNATIONAL); (B) VISITING THE DEBTORS’ RESTRUCTURING WEBSITE AT: HTTPS://CASES.STRETTO.COM/BOUCHARD; (C) WRITING TO BOUCHARD BALLOT PROCESSING, C/O STRETTO, 410 EXCHANGE, SUITE 100, IRVINE, CA 92602; AND/OR (D) EMAILING [email protected] AND REQUESTING PAPER COPIES OF THE CORRESPONDING MATERIALS PREVIOUSLY RECEIVED IN ELECTRONIC FORMAT (TO BE PROVIDED AT THE DEBTORS’ EXPENSE).

FOR YOUR VOTE TO BE COUNTED, THIS BALLOT MUST BE COMPLETED, EXECUTED, AND RETURNED SO AS TO BE ACTUALLY RECEIVED BY THE CLAIMS, NOTICE, AND SOLICITATION AGENT BY JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME (THE “VOTING DEADLINE”) IN ACCORDANCE WITH THE FOLLOWING:

The above-captioned debtors and debtors in possession (collectively, the “Debtors”), are soliciting votes with respect to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 52 of 144

Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”) as described in the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”). The Bankruptcy Court for the Southern District of Texas (the “Bankruptcy Court”) has conditionally approved the Disclosure Statement as containing adequate information pursuant to section 1125 of the Bankruptcy Code, by entry of an order on June 23, 2021 (the “Disclosure Statement Order”). Bankruptcy Court approval of the Disclosure Statement does not indicate approval of the Plan by the Bankruptcy Court. Capitalized terms used but not otherwise defined herein shall have the meanings set forth in the Plan.

You are receiving this Class 4A ballot (this “Ballot”) because you are a Holder of a General Unsecured Claim in Class 4A as of June 23, 2021 (the “Voting Record Date”). Accordingly, you have a right to vote to accept or reject the Plan.

Your rights are described in the Disclosure Statement, which was included in the package (the “Solicitation Package”) you are receiving with this Ballot (as well as the Disclosure Statement Order and certain other materials). If you received Solicitation Package materials in electronic format and desire paper copies, or if you need to obtain additional Solicitation Packages, you may obtain them by: (a) calling the Debtors’ restructuring hotline at (855) 923-1038 (toll free) or (949) 236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected] and requesting paper copies of the corresponding materials previously received in electronic format (to be provided at the Debtors’ expense).

This Ballot may not be used for any purpose other than for casting votes to accept or reject the Plan and making certain certifications with respect to the Plan. If you believe you have received this Ballot in error, or if you believe that you have received the wrong ballot, please contact the Claims, Notice, and Solicitation Agent immediately at the address, telephone number, or email address set forth above.

You should review the Disclosure Statement and Plan before you vote. You may wish to seek legal advice concerning the Plan and the Plan’s classification and treatment of your Claim. Your Claim has been placed in Class 4A, General Unsecured Claims, under the Plan. If you hold Claims in more than one Class, you will receive a ballot for each Class in which you are entitled to vote.

Item 1. Amount of Claim.

The undersigned hereby certifies that as of the Voting Record Date, the undersigned was the Holder of a Class 4A General Unsecured Claim in the following aggregate unpaid amount (insert amount in box below):

Voting Amount: $ ______

Item 2. Vote on Plan.

The Holder of the Class 4A General Unsecured Claim against the Debtor set forth in Item 1 votes to (please check one):

ACCEPT (vote FOR) the Plan REJECT (vote AGAINST) the Plan

Your vote on the Plan will be applied to each applicable Debtor in the same manner and in the same amount as indicated in Item 1 and Item 2 above.

2

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 53 of 144

Item 3. Important information regarding the Third Party Release and option to Opt Out of Third Party Release.2

Article X of the Plan contains Release, Exculpation, and Injunction Provisions, and Article X.E contains a Third-Party Release. Thus, you are advised to review and consider the Plan carefully because your rights might be affected thereunder.

THE ENCLOSED OPT OUT FORM PROVIDES YOU WITH THE OPTION TO NOT GRANT THE VOLUNTARY RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. YOU WILL RECEIVE THE SAME TREATMENT ON ACCOUNT OF YOUR CLAIM OR INTEREST UNDER THE PLAN REGARDLESS OF WHETHER YOU ELECT TO NOT GRANT THE RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. ALL HOLDERS OF CLAIMS OR INTERESTS THAT DO NOT ELECT TO OPT OUT OF THE PROVISIONS CONTAINED IN ARTICLE X.E OF THE PLAN USING THE ENCLOSED OPT OUT FORM OR BY FILING AN OBJECTION TO THE RELEASES CONTAINED IN THE PLAN WITH THE COURT WILL BE DEEMED TO HAVE EXPRESSLY, UNCONDITIONALLY, GENERALLY, INDIVIDUALLY, AND COLLECTIVELY CONSENTED TO THE RELEASE AND DISCHARGE OF ALL CLAIMS AND CAUSES OF ACTION AGAINST THE DEBTORS AND THE RELEASED PARTIES. BY ELECTING TO OPT OUT OF THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN, YOU WILL FOREGO THE BENEFIT OF OBTAINING THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN IF YOU WOULD OTHERWISE BE A RELEASED PARTY IN CONNECTION THEREWITH.

This Notice is being sent to you for informational purposes only. If you have questions with respect to your rights under the Plan or about anything stated herein or if you would like to obtain additional information, contact the Claims, Notice, and Solicitation Agent.

Article X.E of the Plan contains the following provision:

2 Under the Plan, “Released Party” means each of, in its capacity as such: (a) the Debtors; (b) the Plan Administrator and Post-Effective Date Debtor; (c) the Replacement DIP Lender; (d) the Replacement DIP Agent; (e) the Committee; (f) each member of the Committee; (g) the Chief Restructuring Officer; (h) Portage Point; (i) the Independent Director; and (j) each Related Party of each Entity in the foregoing clauses (a) through (i); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Released Party”. Notwithstanding the foregoing, neither Mr. Bouchard nor any other Bouchard Interested Party shall be a “Released Party”.

Under the Plan, “Releasing Parties” means, collectively, and in each case in its capacity as such: (a) the Debtors; (b) Post-Effective Date Debtor; (c) Wells Fargo; (d) the Replacement DIP Lender; (e) the Replacement DIP Agent; (f) the Committee; (g) each member of the Committee; (h) the Chief Restructuring Officer; (i) Portage Point; (j) the Independent Director; (k) all Holders of Claims or Interests; and (l) each Related Party of each Entity in the foregoing clauses (a) through (k); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Releasing Party”; provided, further, that, notwithstanding the foregoing, all rights, claims, and defenses, if any, based on or relating to Avoidance Actions

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Effective as of the Effective Date, for good and valuable consideration, the adequacy of which is hereby confirmed, including the obligations of the Debtors under the Plan and the contributions of the Released Parties to facilitate and implement the Plan, to the fullest extent permissible under applicable law, each Releasing Party, in each case on behalf of itself and its respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, is deemed to have conclusively, absolutely, unconditionally, irrevocably, and forever, released and discharged each Debtor, the Post-Effective Date Debtor, and Released Party from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, foreseen or unforeseen, in law, equity, or otherwise, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post- Effective Date Debtor, or their respective Estates, that such Entity would have been legally entitled to assert (whether individually or collectively), based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the management, ownership or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in- or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, any of the foregoing, the Disclosure Statement, the Plan (including, for the avoidance of doubt, the Plan Supplement), or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other related act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release any post-Effective Date obligations of any Person or Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document, instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Third-Party Release, which includes by reference each of the related provisions and definitions contained herein, and, further, shall constitute the Bankruptcy Court’s finding that the foregoing Third-Party Release is: (a) consensual; (b) essential to the Confirmation of the Plan; (c) given in exchange for a substantial contribution and for the good and valuable consideration provided by the Released Parties that is important to the success of the Plan; (d) a good faith settlement and compromise of the Claims and Interests released by the foregoing Third-Party Release; (e) in the best interests of the Debtors and their Estates; (f) fair, equitable, and reasonable; (g) given and made after due notice and opportunity for hearing; and (h) a bar to any of the Releasing Parties asserting any claim or Cause of Action released pursuant to the foregoing Third Party Release.

The Holder of the Class 4A General Unsecured Claim set forth in Item 1 elects to:

 Opt Out of the Third Party Release.

that may be brought with respect to transactions with Mr. Bouchard or any other Bouchard Interested Party are expressly reserved.

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Item 4. Certifications.

By signing this Ballot, the undersigned certifies to the Bankruptcy Court and the Debtors that:

(a) as of the Voting Record Date, the undersigned is either: (i) the Holder of the Class 4A General Unsecured Claims being voted; or (ii) an authorized signatory for an Entity that is a Holder of the Class 4A General Unsecured Claims being voted;

(b) the undersigned (or in the case of an authorized signatory, the Holder) has received instructions to access a copy of the Plan, the Disclosure Statement, and the Solicitation Package and acknowledges that the solicitation is being made pursuant to the terms and conditions set forth therein;

(c) the undersigned has cast the same vote with respect to all Class 4A General Unsecured Claims in a single Class; and

(d) no other Ballots with respect to the amount of the Class 4A General Unsecured Claims identified in Item 1 have been cast or, if any other Ballots have been cast with respect to such Class 4A General Unsecured Claims, then any such earlier Ballots are hereby revoked.

Name of Holder: (Print or Type)

Signature:

Name of Signatory: (If other than Holder)

Title:

Address:

Telephone Number:

Email:

Date Completed:

PLEASE COMPLETE, SIGN, AND DATE THIS BALLOT AND RETURN IT (WITH AN ORIGINAL SIGNATURE) PROMPTLY VIA FIRST CLASS MAIL (OR THE ENCLOSED REPLY ENVELOPE PROVIDED), OVERNIGHT COURIER, OR HAND DELIVERY TO:

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

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Alternatively, to submit your Ballot or Opt Out Form via the Claims, Notice, and Solicitation Agent’s online balloting portal, visit https://cases.stretto.com/bouchard. Click on the “Submit E-Ballot” section of the website and follow the instructions to submit your Ballot.

IMPORTANT NOTE: You will need the following information to retrieve and submit your customized electronic Ballot:

Unique E-Ballot Password:______

The Claims, Notice, and Solicitation Agent’s online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots submitted by facsimile, email or other means of electronic transmission will not be counted.

Each E-Ballot Password is to be used solely for voting only those Claims described in Item 1 of your electronic Ballot. Please complete and submit an electronic Ballot for each E-Ballot Password you receive, as applicable. Creditors who cast a Ballot using the Claims, Notice, and Solicitation Agent’s online portal should NOT also submit a paper Ballot.

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED BY THIS BALLOT MAY BE COUNTED TOWARD CONFIRMATION OF THE PLAN ONLY IN THE DISCRETION OF THE DEBTORS.

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Class 4A — General Unsecured Claims INSTRUCTIONS FOR COMPLETING THIS BALLOT

1. The Debtors are soliciting the votes of Holders of Claims and Interests with respect to the Plan. Capitalized terms used in the Ballot or in these instructions but not otherwise defined therein or herein shall have the meaning set forth in the Plan. PLEASE READ THE PLAN AND DISCLOSURE STATEMENT CAREFULLY BEFORE COMPLETING THIS BALLOT.

2. The Plan can be confirmed by the Court and thereby made binding upon you if it is accepted by the Holders of at least two-thirds in amount and more than one-half in number of Claims in at least one class of creditors that votes on the Plan and if the Plan otherwise satisfies the requirements for confirmation provided by section 1129(a) of the Bankruptcy Code. Please review the Disclosure Statement for more information.

3. To ensure that your Ballot is counted, you must either: (a) complete and submit this hard copy Ballot or (b) vote through the Debtors’ online balloting portal accessible through the Debtors’ case website https://cases.stretto.com/bouchard. Ballots will not be accepted by electronic mail or facsimile.

4. Use of Hard Copy Ballot. To ensure that your hard copy Ballot is counted, you must: (a) complete your Ballot in accordance with these instructions; (b) clearly indicate your decision either to accept or reject the Plan in the boxes provided in Item 2 of the Ballot; and (c) clearly sign and return your original Ballot as instructed herein.

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

5. Use of Online Ballot Portal (E-Ballot). To ensure that your electronic Ballot is counted, please follow the instructions on the Debtors’ case administration website at: https://cases.stretto.com/bouchard. You will need to enter your unique E-Ballot identification number indicated above. The online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots will not be accepted by facsimile or electronic means (other than the online balloting portal).

6. Your Ballot (whether submitted by hard copy or through the online balloting portal) must be returned to the Claims, Notice, and Solicitation Agent so as to be actually received by the Claims, Notice, and Solicitation Agent on or before the Voting Deadline. The Voting Deadline is July 30, 2021, at 4:00 p.m., prevailing Central Time.

7. If a Ballot is received after the Voting Deadline and if the Voting Deadline is not extended, it may be counted only in the sole and absolute discretion of the Debtors. Additionally, the following Ballots will not be counted:

(a) any Ballot that partially rejects and partially accepts the Plan; (b) Ballots sent to the Debtors, the Debtors’ agents (other than the Claims, Notice, and Solicitation Agent), or the Debtors’ financial or legal advisors; (c) Ballots sent by facsimile or any electronic means other than via the online balloting portal; (d) any Ballot that is illegible or contains insufficient information to permit the identification of the Holder of the Claim; (e) any Class 4A Ballot cast by an Entity that does not hold a Claim in Class 4A; (f) any Ballot submitted by a Holder not entitled to vote pursuant to the Plan; (g) any unsigned Ballot; (h) any non-original Ballot; and/or (i) any Ballot not marked to accept or reject the Plan or any Ballot marked both to accept and reject the Plan.

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8. The method of delivery of Ballots to the Claims, Notice, and Solicitation Agent is at the election and risk of each Holder of a Claim. Except as otherwise provided herein, such delivery will be deemed made only when the Claims, Notice, and Solicitation Agent actually receives the originally executed Ballot. In all cases, Holders should allow sufficient time to assure timely delivery.

9. If multiple Ballots are received from the same Holder of a Claim with respect to the same Claim prior to the Voting Deadline, the latest, timely received, and properly completed Ballot will supersede and revoke any earlier received Ballots.

10. You must vote all of your General Unsecured Claims within Class 4A either to accept or reject the Plan and may not split your vote. Further, if a Holder has multiple General Unsecured Claims within Class 4A, the Debtors may, in their discretion, aggregate the Claims of any particular Holder with multiple Claims within Class 4A for the purpose of counting votes.

11. This Ballot does not constitute, and shall not be deemed to be, (a) a Proof of Claim or (b) an assertion or admission of a Claim.

12. Please be sure to sign and date your Ballot. If you are signing a Ballot in your capacity as a trustee, executor, administrator, guardian, attorney in fact, officer of a corporation, or otherwise acting in a fiduciary or representative capacity, you must indicate such capacity when signing and, if required or requested by the Claims, Notice, and Solicitation Agent, the Debtors, or the Bankruptcy Court, must submit proper evidence to the requesting party to so act on behalf of such Holder. In addition, please provide your name and mailing address if it is different from that set forth on the attached mailing label or if no such mailing label is attached to the Ballot.

13. If you hold Claims in more than one Class under the Plan, you may receive more than one ballot coded for each different Class. Each ballot votes only your Claims indicated on that ballot, so please complete and return each ballot that you received.

PLEASE MAIL YOUR BALLOT PROMPTLY IF YOU HAVE ANY QUESTIONS REGARDING THIS BALLOT, THESE VOTING INSTRUCTIONS OR THE PROCEDURES FOR VOTING, PLEASE CALL THE RESTRUCTURING HOTLINE AT: (855) 923-1038 (TOLL FREE) or (949) 236-4792 (INTERNATIONAL) OR EMAIL [email protected].

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE THE VOTING DEADLINE, WHICH IS ON JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED HEREBY MAY BE COUNTED ONLY IN THE DISCRETION OF THE DEBTORS.

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Exhibit G

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

BALLOT FOR VOTING TO ACCEPT OR REJECT THE DEBTORS’ COMBINED DISCLOSURE STATEMENT AND JOINT CHAPTER 11 PLAN AND OPT OUT FORM

CLASS 4B BALLOT FOR HOLDERS OF PREPETITION REVOLVING CREDIT FACILITY DEFICIENCY CLAIMS

PLEASE READ AND FOLLOW THE ENCLOSED INSTRUCTIONS FOR COMPLETING BALLOTS CAREFULLY BEFORE COMPLETING THIS BALLOT.

ACCESS TO PLAN AND DISCLOSURE STATEMENT:

THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER MAY BE ACCESSED, FREE OF CHARGE, AT HTTPS://CASES.STRETTO.COM/BOUCHARD BY CLICKING ON THE “SOLICITATION MATERIALS” TAB ON THE HOME PAGE.

IF YOU WOULD PREFER A PAPER FORMAT OF THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER, OR IF YOU NEED TO OBTAIN ADDITIONAL SOLICITATION PACKAGES, PLEASE CONTACT STRETTO (THE “CLAIMS, NOTICE, AND SOLICITATION AGENT”) BY: (A) CALLING THE DEBTORS’ RESTRUCTURING HOTLINE AT (855) 923-1038 (TOLL FREE) OR (949) 236-4792 (INTERNATIONAL); (B) VISITING THE DEBTORS’ RESTRUCTURING WEBSITE AT: HTTPS://CASES.STRETTO.COM/BOUCHARD; (C) WRITING TO BOUCHARD BALLOT PROCESSING, C/O STRETTO, 410 EXCHANGE, SUITE 100, IRVINE, CA 92602; AND/OR (D) EMAILING [email protected] AND REQUESTING PAPER COPIES OF THE CORRESPONDING MATERIALS PREVIOUSLY RECEIVED IN ELECTRONIC FORMAT (TO BE PROVIDED AT THE DEBTORS’ EXPENSE).

FOR YOUR VOTE TO BE COUNTED, THIS BALLOT MUST BE COMPLETED, EXECUTED, AND RETURNED SO AS TO BE ACTUALLY RECEIVED BY THE CLAIMS, NOTICE, AND SOLICITATION AGENT BY JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME (THE “VOTING DEADLINE”) IN ACCORDANCE WITH THE FOLLOWING:

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

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The above-captioned debtors and debtors in possession (collectively, the “Debtors”), are soliciting votes with respect to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”) as described in the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”). The Bankruptcy Court for the Southern District of Texas (the “Bankruptcy Court”) has conditionally approved the Disclosure Statement as containing adequate information pursuant to section 1125 of the Bankruptcy Code, by entry of an order on June 23, 2021 (the “Disclosure Statement Order”). Bankruptcy Court approval of the Disclosure Statement does not indicate approval of the Plan by the Bankruptcy Court. Capitalized terms used but not otherwise defined herein shall have the meanings set forth in the Plan.

You are receiving this Class 4B ballot (this “Ballot”) because you are a Holder of a Prepetition Revolving Credit Facility Deficiency Claim in Class 4B as of June 23, 2021 (the “Voting Record Date”). Accordingly, you have a right to vote to accept or reject the Plan.

Your rights are described in the Disclosure Statement, which was included in the package (the “Solicitation Package”) you are receiving with this Ballot (as well as the Disclosure Statement Order and certain other materials). If you received Solicitation Package materials in electronic format and desire paper copies, or if you need to obtain additional Solicitation Packages, you may obtain them by: (a) calling the Debtors’ restructuring hotline at (855) 923-1038 (toll free) or (949) 236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected] and requesting paper copies of the corresponding materials previously received in electronic format (to be provided at the Debtors’ expense).

This Ballot may not be used for any purpose other than for casting votes to accept or reject the Plan and making certain certifications with respect to the Plan. If you believe you have received this Ballot in error, or if you believe that you have received the wrong ballot, please contact the Claims, Notice, and Solicitation Agent immediately at the address, telephone number, or email address set forth above.

You should review the Disclosure Statement and Plan before you vote. You may wish to seek legal advice concerning the Plan and the Plan’s classification and treatment of your Claim. Your Claim has been placed in Class 4B, Prepetition Revolving Credit Facility Deficiency Claims, under the Plan. If you hold Claims in more than one Class, you will receive a ballot for each Class in which you are entitled to vote.

Item 1. Amount of Claim.

The undersigned hereby certifies that as of the Voting Record Date, the undersigned was the Holder of a Class 4B Prepetition Revolving Credit Facility Deficiency Claim in the following aggregate unpaid amount (insert amount in box below):

Voting Amount: $ ______

Item 2. Vote on Plan.

The Holder of the Class 4B Prepetition Revolving Credit Facility Deficiency Claim against the Debtor set forth in Item 1 votes to (please check one):

ACCEPT (vote FOR) the Plan REJECT (vote AGAINST) the Plan

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Your vote on the Plan will be applied to each applicable Debtor in the same manner and in the same amount as indicated in Item 1 and Item 2 above.

Item 3. Important information regarding the Third Party Release and option to Opt Out of Third Party Release.2

Article X of the Plan contains Release, Exculpation, and Injunction Provisions, and Article X.E contains a Third-Party Release. Thus, you are advised to review and consider the Plan carefully because your rights might be affected thereunder.

THE ENCLOSED OPT OUT FORM PROVIDES YOU WITH THE OPTION TO NOT GRANT THE VOLUNTARY RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. YOU WILL RECEIVE THE SAME TREATMENT ON ACCOUNT OF YOUR CLAIM OR INTEREST UNDER THE PLAN REGARDLESS OF WHETHER YOU ELECT TO NOT GRANT THE RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. ALL HOLDERS OF CLAIMS OR INTERESTS THAT DO NOT ELECT TO OPT OUT OF THE PROVISIONS CONTAINED IN ARTICLE X.E OF THE PLAN USING THE ENCLOSED OPT OUT FORM OR BY FILING AN OBJECTION TO THE RELEASES CONTAINED IN THE PLAN WITH THE COURT WILL BE DEEMED TO HAVE EXPRESSLY, UNCONDITIONALLY, GENERALLY, INDIVIDUALLY, AND COLLECTIVELY CONSENTED TO THE RELEASE AND DISCHARGE OF ALL CLAIMS AND CAUSES OF ACTION AGAINST THE DEBTORS AND THE RELEASED PARTIES. BY ELECTING TO OPT OUT OF THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN, YOU WILL FOREGO THE BENEFIT OF OBTAINING THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN IF YOU WOULD OTHERWISE BE A RELEASED PARTY IN CONNECTION THEREWITH.

This Notice is being sent to you for informational purposes only. If you have questions with respect to your rights under the Plan or about anything stated herein or if you would like to obtain additional information, contact the Claims, Notice, and Solicitation Agent.

Article X.E of the Plan contains the following provision:

2 Under the Plan, “Released Party” means each of, in its capacity as such: (a) the Debtors; (b) the Plan Administrator and Post-Effective Date Debtor; (c) the Replacement DIP Lender; (d) the Replacement DIP Agent; (e) the Committee; (f) each member of the Committee; (g) the Chief Restructuring Officer; (h) Portage Point; (i) the Independent Director; and (j) each Related Party of each Entity in the foregoing clauses (a) through (i); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Released Party”. Notwithstanding the foregoing, neither Mr. Bouchard nor any other Bouchard Interested Party shall be a “Released Party”.

Under the Plan, “Releasing Parties” means, collectively, and in each case in its capacity as such: (a) the Debtors; (b) Post-Effective Date Debtor; (c) Wells Fargo; (d) the Replacement DIP Lender; (e) the Replacement DIP Agent; (f) the Committee; (g) each member of the Committee; (h) the Chief Restructuring Officer; (i) Portage Point; (j) the Independent Director; (k) all Holders of Claims or Interests; and (l) each Related Party of each Entity in the foregoing clauses (a) through (k); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is

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Effective as of the Effective Date, for good and valuable consideration, the adequacy of which is hereby confirmed, including the obligations of the Debtors under the Plan and the contributions of the Released Parties to facilitate and implement the Plan, to the fullest extent permissible under applicable law, each Releasing Party, in each case on behalf of itself and its respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, is deemed to have conclusively, absolutely, unconditionally, irrevocably, and forever, released and discharged each Debtor, the Post-Effective Date Debtor, and Released Party from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, foreseen or unforeseen, in law, equity, or otherwise, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post- Effective Date Debtor, or their respective Estates, that such Entity would have been legally entitled to assert (whether individually or collectively), based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the management, ownership or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in- or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, any of the foregoing, the Disclosure Statement, the Plan (including, for the avoidance of doubt, the Plan Supplement), or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other related act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release any post-Effective Date obligations of any Person or Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document, instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Third-Party Release, which includes by reference each of the related provisions and definitions contained herein, and, further, shall constitute the Bankruptcy Court’s finding that the foregoing Third-Party Release is: (a) consensual; (b) essential to the Confirmation of the Plan; (c) given in exchange for a substantial contribution and for the good and valuable consideration provided by the Released Parties that is important to the success of the Plan; (d) a good faith settlement and compromise of the Claims and Interests released by the foregoing Third-Party Release; (e) in the best interests of the Debtors and their Estates; (f) fair, equitable, and reasonable; (g) given and made after due notice and opportunity for hearing; and (h) a bar to any of the Releasing Parties asserting any claim or Cause of Action released pursuant to the foregoing Third Party Release.

The Holder of the Class 4B Prepetition Revolving Credit Facility Deficiency Claim set forth in Item 1 elects to:

 Opt Out of the Third Party Release.

not resolved prior to entry of the Confirmation Order) shall not be a “Releasing Party”; provided, further, that, notwithstanding the foregoing, all rights, claims, and defenses, if any, based on or relating to Avoidance Actions that may be brought with respect to transactions with Mr. Bouchard or any other Bouchard Interested Party are expressly reserved.

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Item 4. Certifications.

By signing this Ballot, the undersigned certifies to the Bankruptcy Court and the Debtors that:

(a) as of the Voting Record Date, the undersigned is either: (i) the Holder of the Class 4B Prepetition Revolving Credit Facility Deficiency Claims being voted; or (ii) an authorized signatory for an Entity that is a Holder of the Class 4B Prepetition Revolving Credit Facility Deficiency Claims being voted;

(b) the undersigned (or in the case of an authorized signatory, the Holder) has received instructions to access a copy of the Plan, the Disclosure Statement, and the Solicitation Package and acknowledges that the solicitation is being made pursuant to the terms and conditions set forth therein;

(c) the undersigned has cast the same vote with respect to all Class 4B Prepetition Revolving Credit Facility Deficiency Claims in a single Class; and

(d) no other Ballots with respect to the amount of the Class 4B Prepetition Revolving Credit Facility Deficiency Claims identified in Item 1 have been cast or, if any other Ballots have been cast with respect to such Class 4B Prepetition Revolving Credit Facility Deficiency Claims, then any such earlier Ballots are hereby revoked.

Name of Holder: (Print or Type)

Signature:

Name of Signatory: (If other than Holder)

Title:

Address:

Telephone Number:

Email:

Date Completed:

PLEASE COMPLETE, SIGN, AND DATE THIS BALLOT AND RETURN IT (WITH AN ORIGINAL SIGNATURE) PROMPTLY VIA FIRST CLASS MAIL (OR THE ENCLOSED REPLY ENVELOPE PROVIDED), OVERNIGHT COURIER, OR HAND DELIVERY TO:

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

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Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 65 of 144

Alternatively, to submit your Ballot or Opt Out Form via the Claims, Notice, and Solicitation Agent’s online balloting portal, visit https://cases.stretto.com/bouchard. Click on the “Submit E-Ballot” section of the website and follow the instructions to submit your Ballot.

IMPORTANT NOTE: You will need the following information to retrieve and submit your customized electronic Ballot:

Unique E-Ballot Password:______

The Claims, Notice, and Solicitation Agent’s online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots submitted by facsimile, email or other means of electronic transmission will not be counted.

Each E-Ballot Password is to be used solely for voting only those Claims described in Item 1 of your electronic Ballot. Please complete and submit an electronic Ballot for each E-Ballot Password you receive, as applicable. Creditors who cast a Ballot using the Claims, Notice, and Solicitation Agent’s online portal should NOT also submit a paper Ballot.

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED BY THIS BALLOT MAY BE COUNTED TOWARD CONFIRMATION OF THE PLAN ONLY IN THE DISCRETION OF THE DEBTORS.

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Class 4B — Prepetition Revolving Credit Facility Deficiency Claims

INSTRUCTIONS FOR COMPLETING THIS BALLOT

1. The Debtors are soliciting the votes of Holders of Claims and Interests with respect to the Plan. Capitalized terms used in the Ballot or in these instructions but not otherwise defined therein or herein shall have the meaning set forth in the Plan. PLEASE READ THE PLAN AND DISCLOSURE STATEMENT CAREFULLY BEFORE COMPLETING THIS BALLOT.

2. The Plan can be confirmed by the Court and thereby made binding upon you if it is accepted by the Holders of at least two-thirds in amount and more than one-half in number of Claims in at least one class of creditors that votes on the Plan and if the Plan otherwise satisfies the requirements for confirmation provided by section 1129(a) of the Bankruptcy Code. Please review the Disclosure Statement for more information.

3. To ensure that your Ballot is counted, you must either: (a) complete and submit this hard copy Ballot or (b) vote through the Debtors’ online balloting portal accessible through the Debtors’ case website https://cases.stretto.com/bouchard. Ballots will not be accepted by electronic mail or facsimile.

4. Use of Hard Copy Ballot. To ensure that your hard copy Ballot is counted, you must: (a) complete your Ballot in accordance with these instructions; (b) clearly indicate your decision either to accept or reject the Plan in the boxes provided in Item 2 of the Ballot; and (c) clearly sign and return your original Ballot as instructed herein.

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

5. Use of Online Ballot Portal (E-Ballot). To ensure that your electronic Ballot is counted, please follow the instructions on the Debtors’ case administration website at: https://cases.stretto.com/bouchard. You will need to enter your unique E-Ballot identification number indicated above. The online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots will not be accepted by facsimile or electronic means (other than the online balloting portal).

6. Your Ballot (whether submitted by hard copy or through the online balloting portal) must be returned to the Claims, Notice, and Solicitation Agent so as to be actually received by the Claims, Notice, and Solicitation Agent on or before the Voting Deadline. The Voting Deadline is July 30, 2021, at 4:00 p.m., prevailing Central Time.

7. If a Ballot is received after the Voting Deadline and if the Voting Deadline is not extended, it may be counted only in the sole and absolute discretion of the Debtors. Additionally, the following Ballots will not be counted:

(a) any Ballot that partially rejects and partially accepts the Plan; (b) Ballots sent to the Debtors, the Debtors’ agents (other than the Claims, Notice, and Solicitation Agent), or the Debtors’ financial or legal advisors; (c) Ballots sent by facsimile or any electronic means other than via the online balloting portal; (d) any Ballot that is illegible or contains insufficient information to permit the identification of the Holder of the Claim; (e) any Class 4B Ballot cast by an Entity that does not hold a Claim in Class 4B; (f) any Ballot submitted by a Holder not entitled to vote pursuant to the Plan; (g) any unsigned Ballot; (h) any non-original Ballot; and/or (i) any Ballot not marked to accept or reject the Plan or any Ballot marked both to accept and reject the Plan.

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8. The method of delivery of Ballots to the Claims, Notice, and Solicitation Agent is at the election and risk of each Holder of a Claim. Except as otherwise provided herein, such delivery will be deemed made only when the Claims, Notice, and Solicitation Agent actually receives the originally executed Ballot. In all cases, Holders should allow sufficient time to assure timely delivery.

9. If multiple Ballots are received from the same Holder of a Claim with respect to the same Claim prior to the Voting Deadline, the latest, timely received, and properly completed Ballot will supersede and revoke any earlier received Ballots.

10. You must vote all of your Prepetition Revolving Credit Facility Deficiency Claims within Class 4B either to accept or reject the Plan and may not split your vote. Further, if a Holder has multiple Prepetition Revolving Credit Facility Deficiency Claims within Class 4B, the Debtors may, in their discretion, aggregate the Claims of any particular Holder with multiple Claims within Class 4B for the purpose of counting votes.

11. This Ballot does not constitute, and shall not be deemed to be, (a) a Proof of Claim or (b) an assertion or admission of a Claim.

12. Please be sure to sign and date your Ballot. If you are signing a Ballot in your capacity as a trustee, executor, administrator, guardian, attorney in fact, officer of a corporation, or otherwise acting in a fiduciary or representative capacity, you must indicate such capacity when signing and, if required or requested by the Claims, Notice, and Solicitation Agent, the Debtors, or the Bankruptcy Court, must submit proper evidence to the requesting party to so act on behalf of such Holder. In addition, please provide your name and mailing address if it is different from that set forth on the attached mailing label or if no such mailing label is attached to the Ballot.

13. If you hold Claims in more than one Class under the Plan, you may receive more than one ballot coded for each different Class. Each ballot votes only your Claims indicated on that ballot, so please complete and return each ballot that you received.

PLEASE MAIL YOUR BALLOT PROMPTLY IF YOU HAVE ANY QUESTIONS REGARDING THIS BALLOT, THESE VOTING INSTRUCTIONS OR THE PROCEDURES FOR VOTING, PLEASE CALL THE RESTRUCTURING HOTLINE AT: (855) 923-1038 (TOLL FREE) or (949) 236-4792 (INTERNATIONAL) OR EMAIL [email protected].

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE THE VOTING DEADLINE, WHICH IS ON JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED HEREBY MAY BE COUNTED ONLY IN THE DISCRETION OF THE DEBTORS.

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Exhibit H

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 69 of 144 Exhibit H Class 6 Served via First-Class Mail

Name Attention Address 1 Address 2 City State Zip Morton S. Bouchard III c/o Mayer Brown LLP Attn: Douglas Spelfogel 1221 Avenue of the Americas New York NY 10020 Morton S. Bouchard III and Linda Bouchard c/o Mayer Brown LLP Attn: Douglas Spelfogel 1221 Avenue of the Americas New York NY 10020 Morton S. Bouchard III Family Trust (Exempt Share) c/o Mayer Brown LLP Attn: Douglas Spelfogel 1221 Avenue of the Americas New York NY 10020

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 1 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 70 of 144

Exhibit I

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 71 of 144 Exhibit I Class 6 Served via Electronic Mail

Name Attention 1 Attention 2 Email Morton S. Bouchard III c/o Mayer Brown LLP Attn: Douglas Spelfogel [email protected] Morton S. Bouchard III and Linda Bouchard c/o Mayer Brown LLP Attn: Douglas Spelfogel [email protected] Morton S. Bouchard III Family Trust (Exempt Share) c/o Mayer Brown LLP Attn: Douglas Spelfogel [email protected]

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 1 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 72 of 144

Exhibit J

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 73 of 144

IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

BALLOT FOR VOTING TO ACCEPT OR REJECT THE DEBTORS’ COMBINED DISCLOSURE STATEMENT AND JOINT CHAPTER 11 PLAN AND OPT OUT FORM

CLASS 6 BALLOT FOR HOLDERS OF SECTION 510(C) CLAIMS

PLEASE READ AND FOLLOW THE ENCLOSED INSTRUCTIONS FOR COMPLETING BALLOTS CAREFULLY BEFORE COMPLETING THIS BALLOT.

ACCESS TO PLAN AND DISCLOSURE STATEMENT:

THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER MAY BE ACCESSED, FREE OF CHARGE, AT HTTPS://CASES.STRETTO.COM/BOUCHARD BY CLICKING ON THE “SOLICITATION MATERIALS” TAB ON THE HOME PAGE.

IF YOU WOULD PREFER A PAPER FORMAT OF THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER, OR IF YOU NEED TO OBTAIN ADDITIONAL SOLICITATION PACKAGES, PLEASE CONTACT STRETTO (THE “CLAIMS, NOTICE, AND SOLICITATION AGENT”) BY: (A) CALLING THE DEBTORS’ RESTRUCTURING HOTLINE AT (855) 923-1038 (TOLL FREE) OR (949) 236-4792 (INTERNATIONAL); (B) VISITING THE DEBTORS’ RESTRUCTURING WEBSITE AT: HTTPS://CASES.STRETTO.COM/BOUCHARD; (C) WRITING TO BOUCHARD BALLOT PROCESSING, C/O STRETTO, 410 EXCHANGE, SUITE 100, IRVINE, CA 92602; AND/OR (D) EMAILING [email protected] AND REQUESTING PAPER COPIES OF THE CORRESPONDING MATERIALS PREVIOUSLY RECEIVED IN ELECTRONIC FORMAT (TO BE PROVIDED AT THE DEBTORS’ EXPENSE).

FOR YOUR VOTE TO BE COUNTED, THIS BALLOT MUST BE COMPLETED, EXECUTED, AND RETURNED SO AS TO BE ACTUALLY RECEIVED BY THE CLAIMS, NOTICE, AND SOLICITATION AGENT BY JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME (THE “VOTING DEADLINE”) IN ACCORDANCE WITH THE FOLLOWING:

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

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The above-captioned debtors and debtors in possession (collectively, the “Debtors”), are soliciting votes with respect to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”) as described in the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”). The Bankruptcy Court for the Southern District of Texas (the “Bankruptcy Court”) has conditionally approved the Disclosure Statement as containing adequate information pursuant to section 1125 of the Bankruptcy Code, by entry of an order on June 23, 2021 (the “Disclosure Statement Order”). Bankruptcy Court approval of the Disclosure Statement does not indicate approval of the Plan by the Bankruptcy Court. Capitalized terms used but not otherwise defined herein shall have the meanings set forth in the Plan.

You are receiving this Class 6 Ballot (this “Ballot”) because you are a Holder of a Section 510(c) Claim in Class 6 as of June 23, 2021 (the “Voting Record Date”). Accordingly, you have a right to vote to accept or reject the Plan.

Your rights are described in the Disclosure Statement, which was included in the package (the “Solicitation Package”) you are receiving with this Ballot (as well as the Disclosure Statement Order and certain other materials). If you received Solicitation Package materials in electronic format and desire paper copies, or if you need to obtain additional Solicitation Packages, you may obtain them by: (a) calling the Debtors’ restructuring hotline at (855) 923-1038 (toll free) or (949) 236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected] and requesting paper copies of the corresponding materials previously received in electronic format (to be provided at the Debtors’ expense).

This Ballot may not be used for any purpose other than for casting votes to accept or reject the Plan and making certain certifications with respect to the Plan. If you believe you have received this Ballot in error, or if you believe that you have received the wrong ballot, please contact the Claims, Notice, and Solicitation Agent immediately at the address, telephone number, or email address set forth above.

You should review the Disclosure Statement and Plan before you vote. You may wish to seek legal advice concerning the Plan and the Plan’s classification and treatment of your Claim. Your Claim has been placed in Class 6, Section 510(c) Claims, under the Plan. If you hold Claims or Interests in more than one Class, you will receive a ballot for each Class in which you are entitled to vote.

Item 1. Amount of Claim.

The undersigned hereby certifies that as of the Voting Record Date, the undersigned was the Holder of a Class 6 Section 510(c) Claim in the following aggregate unpaid amount (insert amount in box below):

Voting Amount: $ ______

Item 2. Vote on Plan.

The Holder of the Class 6 Section 510(c) Claim against the Debtor set forth in Item 1 votes to (please check one):

ACCEPT (vote FOR) the Plan REJECT (vote AGAINST) the Plan

Your vote on the Plan will be applied to each applicable Debtor in the same manner and in the same amount as indicated in Item 1 and Item 2 above.

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Item 3. Important information regarding the Third Party Release and option to Opt Out of Third Party Release.2

Article X of the Plan contains Release, Exculpation, and Injunction Provisions, and Article X.E contains a Third-Party Release. Thus, you are advised to review and consider the Plan carefully because your rights might be affected thereunder.

THE ENCLOSED OPT OUT FORM PROVIDES YOU WITH THE OPTION TO NOT GRANT THE VOLUNTARY RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. YOU WILL RECEIVE THE SAME TREATMENT ON ACCOUNT OF YOUR CLAIM OR INTEREST UNDER THE PLAN REGARDLESS OF WHETHER YOU ELECT TO NOT GRANT THE RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. ALL HOLDERS OF CLAIMS OR INTERESTS THAT DO NOT ELECT TO OPT OUT OF THE PROVISIONS CONTAINED IN ARTICLE X.E OF THE PLAN USING THE ENCLOSED OPT OUT FORM OR BY FILING AN OBJECTION TO THE RELEASES CONTAINED IN THE PLAN WITH THE COURT WILL BE DEEMED TO HAVE EXPRESSLY, UNCONDITIONALLY, GENERALLY, INDIVIDUALLY, AND COLLECTIVELY CONSENTED TO THE RELEASE AND DISCHARGE OF ALL CLAIMS AND CAUSES OF ACTION AGAINST THE DEBTORS AND THE RELEASED PARTIES. BY ELECTING TO OPT OUT OF THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN, YOU WILL FOREGO THE BENEFIT OF OBTAINING THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN IF YOU WOULD OTHERWISE BE A RELEASED PARTY IN CONNECTION THEREWITH.

This Notice is being sent to you for informational purposes only. If you have questions with respect to your rights under the Plan or about anything stated herein or if you would like to obtain additional information, contact the Claims, Notice, and Solicitation Agent.

Article X.E of the Plan contains the following provision:

Effective as of the Effective Date, for good and valuable consideration, the adequacy of which is hereby confirmed, including the obligations of the Debtors under the Plan and the contributions of the Released Parties

2 Under the Plan, “Released Party” means each of, in its capacity as such: (a) the Debtors; (b) the Plan Administrator and Post-Effective Date Debtor; (c) the Replacement DIP Lender; (d) the Replacement DIP Agent; (e) the Committee; (f) each member of the Committee; (g) the Chief Restructuring Officer; (h) Portage Point; (i) the Independent Director; and (j) each Related Party of each Entity in the foregoing clauses (a) through (i); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Released Party”. Notwithstanding the foregoing, neither Mr. Bouchard nor any other Bouchard Interested Party shall be a “Released Party”.

Under the Plan, “Releasing Parties” means, collectively, and in each case in its capacity as such: (a) the Debtors; (b) Post-Effective Date Debtor; (c) Wells Fargo; (d) the Replacement DIP Lender; (e) the Replacement DIP Agent; (f) the Committee; (g) each member of the Committee; (h) the Chief Restructuring Officer; (i) Portage Point; (j) the Independent Director; (k) all Holders of Claims or Interests; and (l) each Related Party of each Entity in the foregoing clauses (a) through (k); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Releasing Party”; provided, further, that,

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to facilitate and implement the Plan, to the fullest extent permissible under applicable law, each Releasing Party, in each case on behalf of itself and its respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, is deemed to have conclusively, absolutely, unconditionally, irrevocably, and forever, released and discharged each Debtor, the Post-Effective Date Debtor, and Released Party from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, foreseen or unforeseen, in law, equity, or otherwise, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post- Effective Date Debtor, or their respective Estates, that such Entity would have been legally entitled to assert (whether individually or collectively), based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the management, ownership or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in- or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, any of the foregoing, the Disclosure Statement, the Plan (including, for the avoidance of doubt, the Plan Supplement), or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other related act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release any post-Effective Date obligations of any Person or Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document, instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Third-Party Release, which includes by reference each of the related provisions and definitions contained herein, and, further, shall constitute the Bankruptcy Court’s finding that the foregoing Third-Party Release is: (a) consensual; (b) essential to the Confirmation of the Plan; (c) given in exchange for a substantial contribution and for the good and valuable consideration provided by the Released Parties that is important to the success of the Plan; (d) a good faith settlement and compromise of the Claims and Interests released by the foregoing Third-Party Release; (e) in the best interests of the Debtors and their Estates; (f) fair, equitable, and reasonable; (g) given and made after due notice and opportunity for hearing; and (h) a bar to any of the Releasing Parties asserting any claim or Cause of Action released pursuant to the foregoing Third Party Release.

The Holder of the Class 6 Section 510(c) Claim set forth in Item 1 elects to:

 Opt Out of the Third Party Release.

notwithstanding the foregoing, all rights, claims, and defenses, if any, based on or relating to Avoidance Actions that may be brought with respect to transactions with Mr. Bouchard or any other Bouchard Interested Party are expressly reserved.

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Item 4. Certifications.

By signing this Ballot, the undersigned certifies to the Bankruptcy Court and the Debtors that:

(a) as of the Voting Record Date, the undersigned is either: (i) the Holder of the Class 6 Section 510(c) Claims being voted; or (ii) an authorized signatory for an Entity that is a Holder of the Class 6 Section 510(c) Claims being voted;

(b) the undersigned (or in the case of an authorized signatory, the Holder) has received instructions to access a copy of the Plan, the Disclosure Statement, and the Solicitation Package and acknowledges that the solicitation is being made pursuant to the terms and conditions set forth therein;

(c) the undersigned has cast the same vote with respect to all Class 6 Section 510(c) Claims in a single Class; and

(d) no other Ballots with respect to the amount of the Class 6 Section 510(c) Claims identified in Item 1 have been cast or, if any other Ballots have been cast with respect to such Class 6 Section 510(c) Claims, then any such earlier Ballots are hereby revoked.

Name of Holder: (Print or Type)

Signature:

Name of Signatory: (If other than Holder)

Title:

Address:

Telephone Number:

Email:

Date Completed:

PLEASE COMPLETE, SIGN, AND DATE THIS BALLOT AND RETURN IT (WITH AN ORIGINAL SIGNATURE) PROMPTLY VIA FIRST CLASS MAIL (OR THE ENCLOSED REPLY ENVELOPE PROVIDED), OVERNIGHT COURIER, OR HAND DELIVERY TO:

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

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Alternatively, to submit your Ballot or Opt Out Form via the Claims, Notice, and Solicitation Agent’s online balloting portal, visit https://cases.stretto.com/bouchard. Click on the “Submit E-Ballot” section of the website and follow the instructions to submit your Ballot.

IMPORTANT NOTE: You will need the following information to retrieve and submit your customized electronic Ballot:

Unique E-Ballot Password:______

The Claims, Notice, and Solicitation Agent’s online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots submitted by facsimile, email or other means of electronic transmission will not be counted.

Each E-Ballot Password is to be used solely for voting only those Claims described in Item 1 of your electronic Ballot. Please complete and submit an electronic Ballot for each E-Ballot Password you receive, as applicable. Creditors who cast a Ballot using the Claims, Notice, and Solicitation Agent’s online portal should NOT also submit a paper Ballot.

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED BY THIS BALLOT MAY BE COUNTED TOWARD CONFIRMATION OF THE PLAN ONLY IN THE DISCRETION OF THE DEBTORS.

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Class 6 — Section 510(c) Claims INSTRUCTIONS FOR COMPLETING THIS BALLOT

1. The Debtors are soliciting the votes of Holders of Claims and Interests with respect to the Plan. Capitalized terms used in the Ballot or in these instructions but not otherwise defined therein or herein shall have the meaning set forth in the Plan. PLEASE READ THE PLAN AND DISCLOSURE STATEMENT CAREFULLY BEFORE COMPLETING THIS BALLOT.

2. The Plan can be confirmed by the Court and thereby made binding upon you if it is accepted by the Holders of at least two-thirds in amount and more than one-half in number of Claims in at least one class of creditors that votes on the Plan and if the Plan otherwise satisfies the requirements for confirmation provided by section 1129(a) of the Bankruptcy Code. Please review the Disclosure Statement for more information.

3. To ensure that your Ballot is counted, you must either: (a) complete and submit this hard copy Ballot or (b) vote through the Debtors’ online balloting portal accessible through the Debtors’ case website https://cases.stretto.com/bouchard. Ballots will not be accepted by electronic mail or facsimile.

4. Use of Hard Copy Ballot. To ensure that your hard copy Ballot is counted, you must: (a) complete your Ballot in accordance with these instructions; (b) clearly indicate your decision either to accept or reject the Plan in the boxes provided in Item 2 of the Ballot; and (c) clearly sign and return your original Ballot as instructed herein.

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

5. Use of Online Ballot Portal (E-Ballot). To ensure that your electronic Ballot is counted, please follow the instructions on the Debtors’ case administration website at: https://cases.stretto.com/bouchard. You will need to enter your unique E-Ballot identification number indicated above. The online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots will not be accepted by facsimile or electronic means (other than the online balloting portal).

6. Your Ballot (whether submitted by hard copy or through the online balloting portal) must be returned to the Claims, Notice, and Solicitation Agent so as to be actually received by the Claims, Notice, and Solicitation Agent on or before the Voting Deadline. The Voting Deadline is July 30, 2021, at 4:00 p.m., prevailing Central Time.

7. If a Ballot is received after the Voting Deadline and if the Voting Deadline is not extended, it may be counted only in the sole and absolute discretion of the Debtors. Additionally, the following Ballots will not be counted:

(a) any Ballot that partially rejects and partially accepts the Plan; (b) Ballots sent to the Debtors, the Debtors’ agents (other than the Claims, Notice, and Solicitation Agent), or the Debtors’ financial or legal advisors; (c) Ballots sent by facsimile or any electronic means other than via the online balloting portal; (d) any Ballot that is illegible or contains insufficient information to permit the identification of the Holder of the Claim; (e) any Class 6 Ballot cast by an Entity that does not hold a Claim in Class 6; (f) any Ballot submitted by a Holder not entitled to vote pursuant to the Plan; (g) any unsigned Ballot; (h) any non-original Ballot; and/or (i) any Ballot not marked to accept or reject the Plan or any Ballot marked both to accept and reject the Plan.

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8. The method of delivery of Ballots to the Claims, Notice, and Solicitation Agent is at the election and risk of each Holder of a Claim. Except as otherwise provided herein, such delivery will be deemed made only when the Claims, Notice, and Solicitation Agent actually receives the originally executed Ballot. In all cases, Holders should allow sufficient time to assure timely delivery.

9. If multiple Ballots are received from the same Holder of a Claim with respect to the same Claim prior to the Voting Deadline, the latest, timely received, and properly completed Ballot will supersede and revoke any earlier received Ballots.

10. You must vote all of your Section 510(c) Claims within Class 6 either to accept or reject the Plan and may not split your vote. Further, if a Holder has multiple Section 510(c) Claims within Class 6, the Debtors may, in their discretion, aggregate the Claims of any particular Holder with multiple Claims within Class 6 for the purpose of counting votes.

11. This Ballot does not constitute, and shall not be deemed to be, (a) a Proof of Claim or (b) an assertion or admission of a Claim.

12. Please be sure to sign and date your Ballot. If you are signing a Ballot in your capacity as a trustee, executor, administrator, guardian, attorney in fact, officer of a corporation, or otherwise acting in a fiduciary or representative capacity, you must indicate such capacity when signing and, if required or requested by the Claims, Notice, and Solicitation Agent, the Debtors, or the Bankruptcy Court, must submit proper evidence to the requesting party to so act on behalf of such Holder. In addition, please provide your name and mailing address if it is different from that set forth on the attached mailing label or if no such mailing label is attached to the Ballot.

13. If you hold Claims or Interests in more than one Class under the Plan, you may receive more than one ballot coded for each different Class. Each ballot votes only your Claims or Interests indicated on that ballot, so please complete and return each ballot that you received.

PLEASE MAIL YOUR BALLOT PROMPTLY IF YOU HAVE ANY QUESTIONS REGARDING THIS BALLOT, THESE VOTING INSTRUCTIONS OR THE PROCEDURES FOR VOTING, PLEASE CALL THE RESTRUCTURING HOTLINE AT: (855) 923-1038 (TOLL FREE) or (949) 236-4792 (INTERNATIONAL) OR EMAIL [email protected].

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE THE VOTING DEADLINE, WHICH IS ON JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED HEREBY MAY BE COUNTED ONLY IN THE DISCRETION OF THE DEBTORS.

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Exhibit K

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 82 of 144 Exhibit K Class 7 Served via First-Class Mail

Name Attention Address 1 Address 2 City State Zip Morton S. Bouchard III Family Trust c/o Mayer Brown LLP Attn: Douglas Spelfogel 1221 Avenue of the Americas New York NY 10020 The Morton S. Bouchard III Revocable Trust c/o Mayer Brown LLP Attn: Douglas Spelfogel 1221 Avenue of the Americas New York NY 10020

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 1 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 83 of 144

Exhibit L

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 84 of 144 Exhibit L Class 7 Served via Electronic Mail

Name Attention 1 Attention 2 Email Morton S. Bouchard III Family Trust c/o Mayer Brown LLP Attn: Douglas Spelfogel [email protected] The Morton S. Bouchard III Revocable Trust c/o Mayer Brown LLP Attn: Douglas Spelfogel [email protected]

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 1 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 85 of 144

Exhibit M

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 86 of 144

IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

BALLOT FOR VOTING TO ACCEPT OR REJECT THE DEBTORS’ COMBINED DISCLOSURE STATEMENT AND JOINT CHAPTER 11 PLAN AND OPT OUT FORM

CLASS 7 BALLOT FOR HOLDERS OF EXISTING EQUITY INTERESTS

PLEASE READ AND FOLLOW THE ENCLOSED INSTRUCTIONS FOR COMPLETING BALLOTS CAREFULLY BEFORE COMPLETING THIS BALLOT.

ACCESS TO PLAN AND DISCLOSURE STATEMENT:

THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER MAY BE ACCESSED, FREE OF CHARGE, AT HTTPS://CASES.STRETTO.COM/BOUCHARD BY CLICKING ON THE “SOLICITATION MATERIALS” TAB ON THE HOME PAGE.

IF YOU WOULD PREFER A PAPER FORMAT OF THE PLAN, THE DISCLOSURE STATEMENT, AND THE DISCLOSURE STATEMENT ORDER, OR IF YOU NEED TO OBTAIN ADDITIONAL SOLICITATION PACKAGES, PLEASE CONTACT STRETTO (THE “CLAIMS, NOTICE, AND SOLICITATION AGENT”) BY: (A) CALLING THE DEBTORS’ RESTRUCTURING HOTLINE AT (855) 923-1038 (TOLL FREE) OR (949) 236-4792 (INTERNATIONAL); (B) VISITING THE DEBTORS’ RESTRUCTURING WEBSITE AT: HTTPS://CASES.STRETTO.COM/BOUCHARD; (C) WRITING TO BOUCHARD BALLOT PROCESSING, C/O STRETTO, 410 EXCHANGE, SUITE 100, IRVINE, CA 92602; AND/OR (D) EMAILING [email protected] AND REQUESTING PAPER COPIES OF THE CORRESPONDING MATERIALS PREVIOUSLY RECEIVED IN ELECTRONIC FORMAT (TO BE PROVIDED AT THE DEBTORS’ EXPENSE).

FOR YOUR VOTE TO BE COUNTED, THIS BALLOT MUST BE COMPLETED, EXECUTED, AND RETURNED SO AS TO BE ACTUALLY RECEIVED BY THE CLAIMS, NOTICE, AND SOLICITATION AGENT BY JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME (THE “VOTING DEADLINE”) IN ACCORDANCE WITH THE FOLLOWING:

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

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The above-captioned debtors and debtors in possession (collectively, the “Debtors”), are soliciting votes with respect to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”) as described in the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”). The Bankruptcy Court for the Southern District of Texas (the “Bankruptcy Court”) has conditionally approved the Disclosure Statement as containing adequate information pursuant to section 1125 of the Bankruptcy Code, by entry of an order on June 23, 2021 (the “Disclosure Statement Order”). Bankruptcy Court approval of the Disclosure Statement does not indicate approval of the Plan by the Bankruptcy Court. Capitalized terms used but not otherwise defined herein shall have the meanings set forth in the Plan.

You are receiving this Class 7 Ballot (this “Ballot”) because you are a Holder of an Existing Equity Interest in Class 7 as of June 23, 2021 (the “Voting Record Date”). Accordingly, you have a right to vote to accept or reject the Plan.

Your rights are described in the Disclosure Statement, which was included in the package (the “Solicitation Package”) you are receiving with this Ballot (as well as the Disclosure Statement Order and certain other materials). If you received Solicitation Package materials in electronic format and desire paper copies, or if you need to obtain additional Solicitation Packages, you may obtain them by: (a) calling the Debtors’ restructuring hotline at (855) 923-1038 (toll free) or (949) 236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected] and requesting paper copies of the corresponding materials previously received in electronic format (to be provided at the Debtors’ expense).

This Ballot may not be used for any purpose other than for casting votes to accept or reject the Plan and making certain certifications with respect to the Plan. If you believe you have received this Ballot in error, or if you believe that you have received the wrong ballot, please contact the Claims, Notice, and Solicitation Agent immediately at the address, telephone number, or email address set forth above.

You should review the Disclosure Statement and Plan before you vote. You may wish to seek legal advice concerning the Plan and the Plan’s classification and treatment of your Interests. Your Interests have been placed in Class 7, Existing Equity Interests, under the Plan. If you hold Interests or Claims in more than one Class, you will receive a ballot for each Class in which you are entitled to vote.

Item 1. Number of Shares.

The undersigned hereby certifies that as of the Voting Record Date, the undersigned was the Holder (or authorized signatory for a Holder) in the following number of shares (insert number of shares in box below):

______

Item 2. Vote on Plan.

The Holder of the Class 7 Existing Equity Interest against the Debtor set forth in Item 1 votes to (please check one):

ACCEPT (vote FOR) the Plan REJECT (vote AGAINST) the Plan

Your vote on the Plan will be applied to each applicable Debtor in the same manner and in the same amount as indicated in Item 1 and Item 2 above.

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Item 3. Important information regarding the Third Party Release and option to Opt Out of Third Party Release.2

Article X of the Plan contains Release, Exculpation, and Injunction Provisions, and Article X.E contains a Third-Party Release. Thus, you are advised to review and consider the Plan carefully because your rights might be affected thereunder.

THE ENCLOSED OPT OUT FORM PROVIDES YOU WITH THE OPTION TO NOT GRANT THE VOLUNTARY RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. YOU WILL RECEIVE THE SAME TREATMENT ON ACCOUNT OF YOUR CLAIM OR INTEREST UNDER THE PLAN REGARDLESS OF WHETHER YOU ELECT TO NOT GRANT THE RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. ALL HOLDERS OF CLAIMS OR INTERESTS THAT DO NOT ELECT TO OPT OUT OF THE PROVISIONS CONTAINED IN ARTICLE X.E OF THE PLAN USING THE ENCLOSED OPT OUT FORM OR BY FILING AN OBJECTION TO THE RELEASES CONTAINED IN THE PLAN WITH THE COURT WILL BE DEEMED TO HAVE EXPRESSLY, UNCONDITIONALLY, GENERALLY, INDIVIDUALLY, AND COLLECTIVELY CONSENTED TO THE RELEASE AND DISCHARGE OF ALL CLAIMS AND CAUSES OF ACTION AGAINST THE DEBTORS AND THE RELEASED PARTIES. BY ELECTING TO OPT OUT OF THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN, YOU WILL FOREGO THE BENEFIT OF OBTAINING THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN IF YOU WOULD OTHERWISE BE A RELEASED PARTY IN CONNECTION THEREWITH.

This Notice is being sent to you for informational purposes only. If you have questions with respect to your rights under the Plan or about anything stated herein or if you would like to obtain additional information, contact the Claims, Notice, and Solicitation Agent.

Article X.E of the Plan contains the following provision:

Effective as of the Effective Date, for good and valuable consideration, the adequacy of which is hereby confirmed, including the obligations of the Debtors under the Plan and the contributions of the Released Parties

2 Under the Plan, “Released Party” means each of, in its capacity as such: (a) the Debtors; (b) the Plan Administrator and Post-Effective Date Debtor; (c) the Replacement DIP Lender; (d) the Replacement DIP Agent; (e) the Committee; (f) each member of the Committee; (g) the Chief Restructuring Officer; (h) Portage Point; (i) the Independent Director; and (j) each Related Party of each Entity in the foregoing clauses (a) through (i); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Released Party”. Notwithstanding the foregoing, neither Mr. Bouchard nor any other Bouchard Interested Party shall be a “Released Party”.

Under the Plan, “Releasing Parties” means, collectively, and in each case in its capacity as such: (a) the Debtors; (b) Post-Effective Date Debtor; (c) Wells Fargo; (d) the Replacement DIP Lender; (e) the Replacement DIP Agent; (f) the Committee; (g) each member of the Committee; (h) the Chief Restructuring Officer; (i) Portage Point; (j) the Independent Director; (k) all Holders of Claims or Interests; and (l) each Related Party of each Entity in the foregoing clauses (a) through (k); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Releasing Party”; provided, further, that,

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to facilitate and implement the Plan, to the fullest extent permissible under applicable law, each Releasing Party, in each case on behalf of itself and its respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, is deemed to have conclusively, absolutely, unconditionally, irrevocably, and forever, released and discharged each Debtor, the Post-Effective Date Debtor, and Released Party from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, foreseen or unforeseen, in law, equity, or otherwise, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post- Effective Date Debtor, or their respective Estates, that such Entity would have been legally entitled to assert (whether individually or collectively), based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the management, ownership or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in- or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, any of the foregoing, the Disclosure Statement, the Plan (including, for the avoidance of doubt, the Plan Supplement), or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other related act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release any post-Effective Date obligations of any Person or Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document, instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Third-Party Release, which includes by reference each of the related provisions and definitions contained herein, and, further, shall constitute the Bankruptcy Court’s finding that the foregoing Third-Party Release is: (a) consensual; (b) essential to the Confirmation of the Plan; (c) given in exchange for a substantial contribution and for the good and valuable consideration provided by the Released Parties that is important to the success of the Plan; (d) a good faith settlement and compromise of the Claims and Interests released by the foregoing Third-Party Release; (e) in the best interests of the Debtors and their Estates; (f) fair, equitable, and reasonable; (g) given and made after due notice and opportunity for hearing; and (h) a bar to any of the Releasing Parties asserting any claim or Cause of Action released pursuant to the foregoing Third Party Release.

The Holder of the Class 7 Existing Equity Interest set forth in Item 1 elects to:

 Opt Out of the Third Party Release.

notwithstanding the foregoing, all rights, claims, and defenses, if any, based on or relating to Avoidance Actions that may be brought with respect to transactions with Mr. Bouchard or any other Bouchard Interested Party are expressly reserved.

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Item 4. Certifications.

By signing this Ballot, the undersigned certifies to the Bankruptcy Court and the Debtors that:

(a) as of the Voting Record Date, the undersigned is either: (i) the Holder of the Class 7 Existing Equity Interests being voted; or (ii) an authorized signatory for an Entity that is a Holder of the Class 7 Existing Equity Interests being voted;

(b) the undersigned (or in the case of an authorized signatory, the Holder) has received instructions to access a copy of the Plan, the Disclosure Statement, and the Solicitation Package and acknowledges that the solicitation is being made pursuant to the terms and conditions set forth therein;

(c) the undersigned has cast the same vote with respect to all Class 7 Existing Equity Interests in a single Class; and

(d) no other Ballots with respect to the amount of the Class 7 Existing Equity Interests identified in Item 1 have been cast or, if any other Ballots have been cast with respect to such Class 7 Existing Equity Interests, then any such earlier Ballots are hereby revoked.

Name of Holder: (Print or Type)

Signature:

Name of Signatory: (If other than Holder)

Title:

Address:

Telephone Number:

Email:

Date Completed:

PLEASE COMPLETE, SIGN, AND DATE THIS BALLOT AND RETURN IT (WITH AN ORIGINAL SIGNATURE) PROMPTLY VIA FIRST CLASS MAIL (OR THE ENCLOSED REPLY ENVELOPE PROVIDED), OVERNIGHT COURIER, OR HAND DELIVERY TO:

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

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Alternatively, to submit your Ballot or Opt Out Form via the Claims, Notice, and Solicitation Agent’s online balloting portal, visit https://cases.stretto.com/bouchard. Click on the “Submit E-Ballot” section of the website and follow the instructions to submit your Ballot.

IMPORTANT NOTE: You will need the following information to retrieve and submit your customized electronic Ballot:

Unique E-Ballot Password:______

The Claims, Notice, and Solicitation Agent’s online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots submitted by facsimile, email or other means of electronic transmission will not be counted.

Each E-Ballot Password is to be used solely for voting only those Interests described in Item 1 of your electronic Ballot. Please complete and submit an electronic Ballot for each E-Ballot Password you receive, as applicable. Creditors who cast a Ballot using the Claims, Notice, and Solicitation Agent’s online portal should NOT also submit a paper Ballot.

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED BY THIS BALLOT MAY BE COUNTED TOWARD CONFIRMATION OF THE PLAN ONLY IN THE DISCRETION OF THE DEBTORS.

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Class 7 — Existing Equity Interests INSTRUCTIONS FOR COMPLETING THIS BALLOT

1. The Debtors are soliciting the votes of Holders of Claims and Interests with respect to the Plan. Capitalized terms used in the Ballot or in these instructions but not otherwise defined therein or herein shall have the meaning set forth in the Plan. PLEASE READ THE PLAN AND DISCLOSURE STATEMENT CAREFULLY BEFORE COMPLETING THIS BALLOT.

2. The Plan can be confirmed by the Court and thereby made binding upon you if it is accepted by the Holders of at least two-thirds in amount and more than one-half in number of Claims in at least one class of creditors that votes on the Plan and if the Plan otherwise satisfies the requirements for confirmation provided by section 1129(a) of the Bankruptcy Code. Please review the Disclosure Statement for more information.

3. To ensure that your Ballot is counted, you must either: (a) complete and submit this hard copy Ballot or (b) vote through the Debtors’ online balloting portal accessible through the Debtors’ case website https://cases.stretto.com/bouchard. Ballots will not be accepted by electronic mail or facsimile.

4. Use of Hard Copy Ballot. To ensure that your hard copy Ballot is counted, you must: (a) complete your Ballot in accordance with these instructions; (b) clearly indicate your decision either to accept or reject the Plan in the boxes provided in Item 2 of the Ballot; and (c) clearly sign and return your original Ballot as instructed herein.

If by First Class Mail: If by Hand Delivery or Overnight Mail: Bouchard Ballot Processing Bouchard Ballot Processing c/o Stretto c/o Stretto 410 Exchange, Suite 100 410 Exchange, Suite 100 Irvine, CA 92602 Irvine, CA 92602

5. Use of Online Ballot Portal (E-Ballot). To ensure that your electronic Ballot is counted, please follow the instructions on the Debtors’ case administration website at: https://cases.stretto.com/bouchard. You will need to enter your unique E-Ballot identification number indicated above. The online balloting portal is the sole manner in which Ballots will be accepted via electronic or online transmission. Ballots will not be accepted by facsimile or electronic means (other than the online balloting portal).

6. Your Ballot (whether submitted by hard copy or through the online balloting portal) must be returned to the Claims, Notice, and Solicitation Agent so as to be actually received by the Claims, Notice, and Solicitation Agent on or before the Voting Deadline. The Voting Deadline is July 30, 2021, at 4:00 p.m., prevailing Central Time.

7. If a Ballot is received after the Voting Deadline and if the Voting Deadline is not extended, it may be counted only in the sole and absolute discretion of the Debtors. Additionally, the following Ballots will not be counted:

(a) any Ballot that partially rejects and partially accepts the Plan; (b) Ballots sent to the Debtors, the Debtors’ agents (other than the Claims, Notice, and Solicitation Agent), or the Debtors’ financial or legal advisors; (c) Ballots sent by facsimile or any electronic means other than via the online balloting portal; (d) any Ballot that is illegible or contains insufficient information to permit the identification of the Holder of the Interest; (e) any Class 7 Ballot cast by an Entity that does not hold an Interest in Class 7; (f) any Ballot submitted by a Holder not entitled to vote pursuant to the Plan; (g) any unsigned Ballot; (h) any non-original Ballot; and/or (i) any Ballot not marked to accept or reject the Plan or any Ballot marked both to accept and reject the Plan.

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8. The method of delivery of Ballots to the Claims, Notice, and Solicitation Agent is at the election and risk of each Holder of an Interest. Except as otherwise provided herein, such delivery will be deemed made only when the Claims, Notice, and Solicitation Agent actually receives the originally executed Ballot. In all cases, Holders should allow sufficient time to assure timely delivery.

9. If multiple Ballots are received from the same Holder of an Interest with respect to the same Interest prior to the Voting Deadline, the latest, timely received, and properly completed Ballot will supersede and revoke any earlier received Ballots.

10. You must vote all of your Existing Equity Interests within Class 7 either to accept or reject the Plan and may not split your vote. Further, if a Holder has multiple Existing Equity Interests within Class 7, the Debtors may, in their discretion, aggregate the Interests of any particular Holder with multiple Interests within Class 7 for the purpose of counting votes.

11. This Ballot does not constitute, and shall not be deemed to be, (a) a Proof of Claim or (b) an assertion or admission of a Claim or Interest.

12. Please be sure to sign and date your Ballot. If you are signing a Ballot in your capacity as a trustee, executor, administrator, guardian, attorney in fact, officer of a corporation, or otherwise acting in a fiduciary or representative capacity, you must indicate such capacity when signing and, if required or requested by the Claims, Notice, and Solicitation Agent, the Debtors, or the Bankruptcy Court, must submit proper evidence to the requesting party to so act on behalf of such Holder. In addition, please provide your name and mailing address if it is different from that set forth on the attached mailing label or if no such mailing label is attached to the Ballot.

13. If you hold Claims or Interests in more than one Class under the Plan, you may receive more than one ballot coded for each different Class. Each ballot votes only your Claims or Interests indicated on that ballot, so please complete and return each ballot that you received.

PLEASE MAIL YOUR BALLOT PROMPTLY IF YOU HAVE ANY QUESTIONS REGARDING THIS BALLOT, THESE VOTING INSTRUCTIONS OR THE PROCEDURES FOR VOTING, PLEASE CALL THE RESTRUCTURING HOTLINE AT: (855) 923-1038 (TOLL FREE) or (949) 236-4792 (INTERNATIONAL) OR EMAIL [email protected].

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS BALLOT ON OR BEFORE THE VOTING DEADLINE, WHICH IS ON JULY 30, 2021, AT 4:00 P.M. PREVAILING CENTRAL TIME, (AND IF THE VOTING DEADLINE IS NOT EXTENDED), YOUR VOTE TRANSMITTED HEREBY MAY BE COUNTED ONLY IN THE DISCRETION OF THE DEBTORS.

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Exhibit N

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Exhibit N Non-Voting Classes Served via First-Class Mail Name Attention Address 1 Address 2 Address 3 City State Zip 507 Summit LLC (As Assignee To Donovan Marine Inc.) c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359 507 Summit LLC (As Assignee To Fam Marine Services, Inc.) c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359 507 Summit LLC (As Assignee To Padgett-Swann Machinery Company) c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359

507 Summit LLC (As Assignee To Rhoads Industries, Inc.) c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359 507 Summit LLC (As Assignee To Van Hydraulics Inc.) c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359 507 Summit LLC (As Assignee To Vapor Power International LLC) c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359 A.R.M. Marine Supply, LLC Attn: Michael Menditto 1249 86th Street Brooklyn NY 11228 Answering Service Care, LLC Attn: Luis Bedoya 541 South State Road Ste 7 Margate FL 33068 Associated Federal Pilots and Docking Masters of Louisiana, LLC c/o Miller Hahn - PLLC Attn: Kent B. Ryan 365 Canal St. Ste 860 New Orleans LA 70130 c/o Law Office of Cary A. Des 1100 Poydras Street, Suite Bluewater Electric, LLC Roches Attn: Cary A. Des Roches 3250 New Orleans LA 70163 Attn: Kimberly Boaen/Marci Boaen Mechanical Service Company, Inc. Upchurch PO Box 22054 1223 Mills B. Lane Blvd Savannah GA 31403 Bollinger Amelia Repair, L.L.C., and Bollinger Shipyards Attn: Scott R. Cheatham and 701 Poydras Street, Suite Lockport, L.L.C c/o Adams and Resse LLP Robert Parrott 4500 New Orleans LA 70139 c/o Broward County 115 S. Andrews Ave. Rm. Broward County Port Everglades Department Attorney's Office Attn: Scott Andron 423 Fort Lauderdale FL 33301 Bryce Babson, et al., Individually and on Behalf of the Class of Certain Maritime Employees of Debtor c/o Hofmann & Schweitzer Attn: Paul T. Hofmann 212 West 35th Street 12th Floor New York NY 10001 CDW Direct, LLC Attn: Vida Krug 200 N. Milwaukee Ave Customer # 4439883-01 Vernon Hills IL 60061 Christopher Bailey, et al., Individually and on Behalf of the Class of Certain Maritime Employees of Debtor c/o Hofman & Schweitzer Attn: Paul T. Hofmann 212 West 35th Street 12th Floor New York NY 10001 City of Lafayette Property Tax Attn: Lisa F Chiasson 1875 W Pinhook Rd Ste B Lafayette LA 70508 Colonial Terminals, Inc. Attn: Bill Grant PO Box 576 101 North Lathrop Ave Savannah GA 31402-0576 Crescent Ship Service Attn: Fred Willhoft PO Box 148 Arabi LA 70032 CRG FINANCIAL LLC (AS ASSIGNEE OF OWEN PETERSEN & COMPANY) 100 Union Avenue Cresskill NJ 07626 c/o PBF Holding Company, Delaware City Refining Company LLC LLC Attn: Trecia Canty 1 Sylvan Way 2nd Floor Parisppany NJ 07054 Delaware City Refining Company, LLC PBF Holding Company Attn: Trecia Canty 1 Syvan Way 2nd Floor Parsippany NJ 07054 Delta Launch Services LLC Attn: Craig Sanders 3813 N Causeway Blvd # 100 Metairie LA 70002 c/o Nicoletti Hornig & Donjon Marine Co., Inc. Sweeney Attn: Val Wamser 88 Pine Street 7th Floor New York NY 10005 c/o Nicoletti Hornig & Donjon-Smit, LLC Sweeney Attn: Val Wamser 88 Pine Street 7th Floor New York NY 10005 ECM Maritime Services, LLC 1 Selleck St Suite 1C Norwalk CT 06855 Force Power Systems, LLC 1983 Grand Calliou Rd. Houma LA 70363 c/o Linebarger Goggan Blair Harris County, et al. & Sampson, LLP Attn: Tara L. Grundemeier PO Box 3064 Houston TX 77253-3064 Internal Revenue Service PO Box 7346 Philadelphia PA 19101-7346 International Ship Repair and Marine Services, Inc. c/o Cantey Hanger LLP Attn: Daena G. Ramsey 4514 Cole Avenue Suite 500 Dallas TX 75205 Iron Mountain Information Management, LLC Joseph P. Corrigan One Federal Street 7th Floor Boston MA 02110 In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 3 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 96 of 144

Exhibit N Non-Voting Classes Served via First-Class Mail Name Attention Address 1 Address 2 Address 3 City State Zip John A Hutchison Address Redacted Justin Peaslee c/o Hofmann & Schweitzer Attn: Paul T. Hofmann 212 West 35th Street 12th Floor New York NY 10001 K&L Gates LLP James A. Wright, III State Street Financial Center One Lincoln Street Boston MA 02111-2950 Kenneth Carlino Attn: Weber & Pullin, LLP 7600 Jericho Turnpike Suite 402 Woodbury NY 11797 Lonnie Roberts Attn: Ryan Chapple 400 W. 15th Street Suite 900 Austin TX 78701 Louisiana Machinery Company, LLC, d/b/a Resource Power Group Attn: James W. Thurman 601 Poydras Street Suite 2775 New Orleans LA 70130 Mitchum Docking, LLC Simms Showers LLP 201 International Circle Suite 230 Baltimore MD 21030 New York State Department of Taxation and Finance c/o Bankruptcy Section PO Box 5300 Albany NY 12205-0300 c/o The McLauchlan Law Novum Energy Trading Inc. Group LLC Attn: Peter A. McLauchlan 950 Echo Lane Suite 200 Houston TX 77024 599 Lexington Avenue, Novum Energy Trading, Inc. c/o Reed Smith LLP Attn: Christopher A. Lynch 24th Floor New York NY 10022 Attn: Joseph Marino & Trecia PBF Holding Company, LLC Canty 1 Sylvan Way 2nd Floor Parsippany NJ 07054 Peak Capital LLC (As Assignee To Providence Steamboat Company) C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Caddell Dry Dock And Repair Co., Inc.) C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Edward Richardson) C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Intercontinental Engineering Manufacturing Corporati) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Marine Engines Inc.) C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359

Peak Credit LLC (As Assignee To Marine Systems, Inc.) C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Mcallister Towing New York) C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Mcallister Towing Of Baltimore, Inc) C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Mcallister Towing Of Charleston, Inc) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Mcallister Towing Of Connecticut, LLC) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Mcallister Towing Of Philadelphia, Inc) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Mcallister Towing Of Virginia, Inc) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Mcallister Towing Of Wilmington, Inc.) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Metropolitan Marine Transportation, Inc) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359

Peak Credit LLC (As Assignee To Portland Tugboat, LLC) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Providence Steamboat Company) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Steelstran Industries, Inc. Dba Atlantic Cordage) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 2 of 3 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 97 of 144

Exhibit N Non-Voting Classes Served via First-Class Mail Name Attention Address 1 Address 2 Address 3 City State Zip

Peak Credit LLC (As Assignee To Stewart & Stevenson) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peak Credit LLC (As Assignee To Tugz Company LLC) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Randy J. Boyne Address Redacted Rio Marine, Inc. c/o Baker Donelson Attn: Daniel J. Ferreti 1301 McKinney Suite 3700 Houston TX 77010 Robert Dunham Attn: Ryan Chapple 400 W. 15th Street Suite 900 Austin TX 78701 c/o Tabak, Mellusi & Shisha Roger Hall LLP Attn: Jacob Shisha 29 Broadway, Suite 2400 New York NY 10006 ST Engineering Halter Marine & Offshore d/b/a Halter Marine & Offshore Attn: David S. Bland c/o Bland & Partners PLLC 5500 Prytania St #618 New Orleans LA 70112 State of Texas Scottie C. Aplin PO Box 12873 Austin TX 78711 Timothy Lerette Attn: Ryan Chapple 400 W. 15th Street Suite 900 Austin TX 78701 Attn: Joseph B. Wells, Total Quality Logistics, LLC Corporate Counsel 4289 Ivy Pointe Blvd Cincinnati OH 45245 Brooks Beard and Rachael VMware, Inc. Shen 3401 Hillview Avenue Palo Alto CA 94304

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 3 of 3 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 98 of 144

Exhibit O

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

NOTICE OF NON-VOTING STATUS TO HOLDERS OF UNIMPAIRED CLAIMS CONCLUSIVELY PRESUMED TO ACCEPT THE PLAN

PLEASE TAKE NOTICE THAT on June 23, 2021, the United States Bankruptcy Court for the Southern District of Texas (the “Court”) entered an order (the “Disclosure Statement Order”): (a) authorizing the above-captioned debtors and debtors in possession (collectively, the “Debtors”), to solicit votes on the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”);2 (b) conditionally approving the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”) as containing “adequate information” pursuant to section 1125 of the Bankruptcy Code; (c) approving the solicitation materials and documents to be included in the solicitation packages (the “Solicitation Packages”); and (d) approving procedures for soliciting, receiving, and tabulating votes on the Plan and for filing objections to confirmation of the Plan and final approval of the Disclosure Statement.

PLEASE TAKE FURTHER NOTICE THAT because of the nature and treatment of your Claim under the Plan, you are not entitled to vote on the Plan. Specifically, under the terms of the Plan, as a Holder of a Claim (as currently asserted against the Debtors) that is not Impaired and conclusively presumed to have accepted the Plan pursuant to section 1126(f) of the Bankruptcy Code, you are not entitled to vote on the Plan.

PLEASE TAKE FURTHER NOTICE THAT the hearing at which the Court will consider Confirmation of the Plan and final approval of the Disclosure Statement (the “Combined Hearing”) will commence on August 5, 2021, at 9:00 a.m. prevailing Central Time, before the Honorable David R. Jones in the United States Bankruptcy Court for the Southern District of Texas, located at Courtroom 400, 515 Rusk, Houston, TX 77002.

PLEASE TAKE FURTHER NOTICE THAT the deadline for filing objections to the Plan or final approval of the Disclosure Statement is July 30, 2021, at 4:00 p.m., prevailing Central Time

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

2 Capitalized terms not otherwise defined herein shall have the same meaning as set forth in the Plan.

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II.

(the “Plan and Disclosure Statement Objection Deadline”). Any objection to the Plan or final approval of the Disclosure Statement must: (a) be in writing; (b) conform to the Bankruptcy Rules, the Bankruptcy Local Rules, and any orders of the Court; (c) state, with particularity, the basis and nature of any objection to the Plan and, if practicable, a proposed modification to the Plan that would resolve such objection; and (d) be filed with the Court so as to be actually received on or before the Plan and Disclosure Statement Objection Deadline.

PLEASE TAKE FURTHER NOTICE THAT if you would like to obtain a copy of the Plan, the Disclosure Statement, the Plan Supplement, or related documents, you should contact Stretto, the claims, notice, and solicitation agent retained by the Debtors in these chapter 11 cases (the “Claims, Notice, and Solicitation Agent”), by: (a) calling the Debtors’ restructuring hotline at 855-923-1038 (toll free) or 949- 236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected]. You may also obtain copies of any pleadings filed in these chapter 11 cases for a fee via PACER at: https://ecf.txsb.uscourts.gov/.

Article X of the Plan contains Release, Exculpation, and Injunction Provisions, and Article X.E contains a Third-Party Release. Thus, you are advised to review and consider the Plan carefully because your rights might be affected thereunder.

THE ENCLOSED OPT OUT FORM PROVIDES YOU WITH THE OPTION TO NOT GRANT THE VOLUNTARY RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. YOU WILL RECEIVE THE SAME TREATMENT ON ACCOUNT OF YOUR CLAIM OR INTEREST UNDER THE PLAN REGARDLESS OF WHETHER YOU ELECT TO NOT GRANT THE RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN. ALL HOLDERS OF CLAIMS OR INTERESTS THAT DO NOT ELECT TO OPT OUT OF THE PROVISIONS CONTAINED IN ARTICLE X.E OF THE PLAN USING THE ENCLOSED OPT OUT FORM OR BY FILING AN OBJECTION TO THE RELEASES CONTAINED IN THE PLAN WITH THE COURT WILL BE DEEMED TO HAVE EXPRESSLY, UNCONDITIONALLY, GENERALLY, INDIVIDUALLY, AND COLLECTIVELY CONSENTED TO THE RELEASE AND DISCHARGE OF ALL CLAIMS AND CAUSES OF ACTION AGAINST THE DEBTORS AND THE RELEASED PARTIES. BY ELECTING TO OPT OUT OF THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN, YOU WILL FOREGO THE BENEFIT OF OBTAINING THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN IF YOU WOULD OTHERWISE BE A RELEASED PARTY IN CONNECTION THEREWITH.

This Notice is being sent to you for informational purposes only. If you have questions with respect to your rights under the Plan or about anything stated herein or if you would like to obtain additional information, contact the Claims, Notice, and Solicitation Agent.

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 101 of 144

Houston, Texas July 9, 2021

/s/ Matthew D. Cavenaugh JACKSON WALKER L.L.P. KIRKLAND & ELLIS LLP Matthew D. Cavenaugh (TX Bar No. 24062656) KIRKLAND & ELLIS INTERNATIONAL LLP Genevieve M. Graham (TX Bar No. 24085340) Ryan Blaine Bennett, P.C. (admitted pro hac vice) 1401 McKinney Street, Suite 1900 Whitney Fogelberg (admitted pro hac vice) Houston, Texas 77010 300 North LaSalle Street Telephone: (713) 752-4200 Chicago, Illinois 60654 Facsimile: (713) 752-4221 Telephone: (312) 862-2000 Email: [email protected] Facsimile: (312) 862-2200 [email protected] Email: [email protected] [email protected]

- and -

KIRKLAND & ELLIS LLP KIRKLAND & ELLIS INTERNATIONAL LLP Christine A. Okike, P.C. (admitted pro hac vice) 601 Lexington Avenue New York, New York 10022 Telephone: (212) 446-4800 Facsimile: (212) 446-4900 Email: [email protected]

Co-Counsel to the Debtors Co-Counsel to the Debtors and Debtors in Possession and Debtors in Possession

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 102 of 144

Exhibit 1 Opt-Out Form

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 103 of 144

THIRD PARTY RELEASE OPT-OUT FORM

Holders of Claims and Interests in Non-Voting Classes

THIS OPT-OUT FORM IMPACTS YOUR LEGAL RIGHTS. PLEASE READ AND FOLLOW THE ENCLOSED INSTRUCTIONS FOR COMPLETING THIS OPT-OUT FORM CAREFULLY BEFORE COMPLETING THIS OPT-OUT FORM.

UNLESS YOU CHECK THE BOX ON THIS OPT-OUT FORM BELOW AND FOLLOW ALL INSTRUCTIONS, YOU WILL BE HELD TO FOREVER RELEASE THE RELEASED PARTIES IN ACCORDANCE WITH THE PLAN.

THIS OPT-OUT FORM MUST BE COMPLETED, EXECUTED, AND RETURNED SO THAT IT IS ACTUALLY RECEIVED BY THE CLAIMS, NOTICE, AND SOLICITATION AGENT PRIOR TO 4:00 P.M. CENTRAL TIME ON JULY 30, 3021 (THE “VOTING DEADLINE”).

Item 1. Optional Third-Party Release Election. Item 1 is to be completed only if you are opting out of the Third-Party Release contained in Article X.E of the Plan.

The Holder of the below-referenced Claims in a Non-Voting Class hereby elects to:

☐ OPT OUT OF THE THIRD-PARTY RELEASE.

IMPORTANT INFORMATION REGARDING THE THIRD-PARTY RELEASE:

IF THE COURT CONFIRMS THE PLAN, YOU WILL BE BOUND BY THE TERMS OF THE PLAN, INCLUDING, WITHOUT LIMITATION, THE THIRD-PARTY RELEASE, UNLESS YOU CHECK THE BOX IN ITEM 1 ABOVE INDICATING YOUR DECISION TO OPT OUT OF THE THIRD-PARTY RELEASE AND RETURN THIS OPT-OUT FORM TO THE CLAIMS, NOTICE, AND SOLICITATION AGENT SUCH THAT IS IT ACTUALLY RECEIVED PRIOR TO THE VOTING DEADLINE.

IF YOU DO NOT OPT OUT OF THE THIRD-PARTY RELEASE AS SET FORTH HEREIN, AND THE COURT CONFIRMS THE PLAN, YOU WILL BE BOUND BY THE THIRD-PARTY RELEASE.

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 104 of 144

Article X.E of the Plan provides for the following Third-Party Release:1

AS A “RELEASING PARTY” UNDER THE PLAN, YOU ARE DEEMED TO PROVIDE THE RELEASES CONTAINED IN ARTICLE X.E OF THE PLAN SET FORTH BELOW:

Effective as of the Effective Date, for good and valuable consideration, the adequacy of which is hereby confirmed, including the obligations of the Debtors under the Plan and the contributions of the Released Parties to facilitate and implement the Plan, to the fullest extent permissible under applicable law, each Releasing Party, in each case on behalf of itself and its respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, is deemed to have conclusively, absolutely, unconditionally, irrevocably, and forever, released and discharged each Debtor, the Post- Effective Date Debtor, and Released Party from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, foreseen or unforeseen, in law, equity, or otherwise, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post-Effective Date Debtor, or their respective Estates, that such Entity would have been legally entitled to assert (whether individually or collectively), based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the management, ownership or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in- or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, any of the foregoing, the Disclosure Statement, the Plan (including, for the avoidance of doubt, the Plan

1 Under the Plan, “Released Party” means each of, in its capacity as such: (a) the Debtors; (b) the Plan Administrator and Post-Effective Date Debtor; (c) the Replacement DIP Lender; (d) the Replacement DIP Agent; (e) the Committee; (f) each member of the Committee; (g) the Chief Restructuring Officer; (h) Portage Point; (i) the Independent Director; and (j) each Related Party of each Entity in the foregoing clauses (a) through (i); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Released Party”. Notwithstanding the foregoing, neither Mr. Bouchard nor any other Bouchard Interested Party shall be a “Released Party”.

Under the Plan, “Releasing Parties” means, collectively, and in each case in its capacity as such: (a) the Debtors; (b) Post-Effective Date Debtor; (c) Wells Fargo; (d) the Replacement DIP Lender; (e) the Replacement DIP Agent; (f) the Committee; (g) each member of the Committee; (h) the Chief Restructuring Officer; (i) Portage Point; (j) the Independent Director; (k) all Holders of Claims or Interests; and (l) each Related Party of each Entity in the foregoing clauses (a) through (k); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Releasing Party”; provided, further, that, notwithstanding the foregoing, all rights, claims, and defenses, if any, based on or relating to Avoidance Actions that may be brought with respect to transactions with Mr. Bouchard or any other Bouchard Interested Party are expressly reserved.

2

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Supplement), or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other related act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release any post-Effective Date obligations of any Person or Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document, instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Third-Party Release, which includes by reference each of the related provisions and definitions contained herein, and, further, shall constitute the Bankruptcy Court’s finding that the foregoing Third-Party Release is: (a) consensual; (b) essential to the Confirmation of the Plan; (c) given in exchange for a substantial contribution and for the good and valuable consideration provided by the Released Parties that is important to the success of the Plan; (d) a good faith settlement and compromise of the Claims and Interests released by the foregoing Third-Party Release; (e) in the best interests of the Debtors and their Estates; (f) fair, equitable, and reasonable; (g) given and made after due notice and opportunity for hearing; and (h) a bar to any of the Releasing Parties asserting any claim or Cause of Action released pursuant to the foregoing Third Party Release.

IF YOU ELECT TO OPT OUT OF THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN, YOU WILL FOREGO THE BENEFIT OF OBTAINING THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN IF YOU ARE A RELEASED PARTY IN CONNECTION THEREWITH.

3

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Item 2. Certifications.

By signing this Opt-Out Form, the undersigned certifies to the Court and the Debtors that:

(a) either: (i) the undersigned is the Holder of one or more Claims in Non-Voting Classes or (ii) the undersigned is an authorized signatory for an entity that is the Holder of the aforementioned Claims;

(b) the Holder has received a copy of the Notice of Non-Voting Status to Holders of Unimpaired Claims Conclusively Presumed to Accept the Plan, including instructions to access the Plan and Disclosure Statement, and that this Opt-Out Form is made pursuant to the terms and conditions set forth therein;

(c) that the Holder has made the same election with respect to all Claims or Interests held by such Holder; and

(d) that no other Opt-Out Forms with respect to your Claims or Interests in Non-Voting Classes have been cast or, if any other Opt-Out Forms have been cast with respect to such Claims against, or Interests in, the Debtors, such Opt-Out Forms are hereby revoked.

Name of Holder: (Print or Type) Social Security (Last 4 Digits) or Federal Tax Identification Number:

Signature: Name of Signatory: (If Other Than Holder) Title: Address:

Date Completed:

4

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IF YOU ARE ELECTING TO OPT OUT OF THE THIRD-PARTY RELEASE, PLEASE COMPLETE, SIGN, AND DATE THIS OPT-OUT FORM AND RETURN IT PROMPTLY IN THE ENVELOPE PROVIDED TO:

If by mail:

Bouchard Ballot Processing c/o Stretto 410 Exchange, Suite 100 Irvine, CA 92602

If by hand delivery or overnight courier:

Bouchard Ballot Processing c/o Stretto 410 Exchange, Suite 100 Irvine, CA 92602

Alternatively, to submit your Opt-Out Form via the Claims, Notice, and Solicitation Agent’s online portal, visit https://cases.stretto.com/bouchard

Telephone: (855) 923-1038 (toll free) (949) 236-4792 (international) Email: [email protected]

You may obtain access, free of charge, to the Plan, the Disclosure Statement, and the Disclosure Statement Order (without exhibits except the Solicitation and Voting Procedures) in electronic format through the Debtors’ restructuring website (https://cases.stretto.com/bouchard). Any party that would prefer a paper format of the Disclosure Statement and the Disclosure Statement Order may contact Stretto (the “Claims, Notice, and Solicitation Agent”) using the aforementioned contact information.

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS OPT-OUT FORM PRIOR TO THE VOTING DEADLINE, WHICH IS 4:00 P.M. CENTRAL TIME ON JULY 30, 2021, YOUR ELECTION TRANSMITTED HEREBY WILL NOT BE EFFECTIVE.

5

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INSTRUCTIONS FOR COMPLETING THIS OPT-OUT FORM

1. Capitalized terms used in the Opt-Out Form or in these instructions but not otherwise defined therein or herein shall have the meaning set forth in the Plan, Disclosure Statement, or the Disclosure Statement Order, as applicable. Instructions to obtain access to the Disclosure Statement or the Disclosure Statement Order are included in the Opt-Out Form.

2. To ensure that your election is counted, you must complete and submit this hard copy Opt-Out Form.

3. You will be deemed to consent to the Third-Party Release set forth in Article X.E of the Plan unless you clearly indicate your decision to opt out of the Third-Party Release by checking the box provided in Item 1 of the Opt-Out Form. The Opt-Out Form must then be (a) executed and completed in accordance with these instructions (and as explained in greater detail in the Disclosure Statement Order) and (b) returned to the Claims, Notice, and Solicitation Agent such that it is actually received by the Claims, Notice, and Solicitation Agent prior to the Voting Deadline.

4. If an Opt-Out Form is received after the Voting Deadline, it will not be effective. Additionally, the following Opt-Out Form will NOT be effective:

▪ Opt-Out Form sent to the Debtors, the Debtors’ agents (other than the Claims, Notice, and Solicitation Agent), or the Debtors’ financial or legal advisors;

▪ Opt-Out Form sent by facsimile, email, or any other electronic means (other than through the electronic portal maintained by the Claims, Notice, and Solicitation Agent);

▪ any Opt-Out Form that is illegible or contains insufficient information to permit the identification of the Holder of the Claim or Interest;

▪ any unsigned Opt-Out Form, or for any Opt-Out Form completed by hand, an Opt-Out Form lacking an original signature;

▪ any Opt-Out Form that purports to alter the terms of the Third-Party Release;

▪ any Opt-Out Form submitted by a person or an entity that does not hold a Claim or Interest in a Class that is entitled to opt out of the Third-Party Release; and

▪ any Opt-Out Form submitted by any entity otherwise not entitled to opt out of the Third-Party Release pursuant to the Solicitation and Voting Procedures.

5. The method of delivery of Opt-Out Form to the Claims, Notice, and Solicitation Agent is at the election and risk of each Holder of a Claim or Interest. Except as otherwise provided herein, such delivery will be deemed made only when the Claims, Notice, and Solicitation Agent actually receives the originally executed Opt-Out Form. For Opt-Out Forms submitted by hand, instead of effecting delivery by first-class mail, it is recommended, though not required, that Holders of Claims or Interests use an overnight or hand delivery service. In all cases, Holders of Claims or Interests should allow sufficient time to assure timely delivery. Opt-Out

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Forms will not be accepted by email, facsimile, or other electronic transmission (other than through the electronic portal maintained by the Claims, Notice, and Solicitation Agent).

6. The Opt-Out Form is not a letter of transmittal and may not be used for any purpose other than, subject to the limitations set forth in the Opt-Out Form, opt out of the Third-Party Release. Accordingly, at this time, Holders of Claims or Interests should not surrender certificates or instruments representing or evidencing their Claims or Interests, and neither the Debtors nor the Claims, Notice, and Solicitation Agent will accept delivery of any such certificates or instruments surrendered together with an Opt-Out Form.

7. This Opt-Out Form does not constitute, and shall not be deemed to be, (a) a proof of claim or (b) an assertion or admission of a Claim or Interest.

8. Please be sure to sign and date your Opt-Out Form. If you are signing an Opt-Out Form in your capacity as a trustee, executor, administrator, guardian, attorney in fact, officer of a corporation, or otherwise acting in a fiduciary or representative capacity, you must indicate such capacity when signing and, if required or requested by the Claims, Notice, and Solicitation Agent, the Debtors, or the Court, must submit proper evidence to the requesting party of your authority to so act on behalf of such Holder. In addition, please provide your name and mailing address if it is different from that set forth on the attached mailing label or if no such mailing label is attached to the Opt-Out Form.

9. If you hold Claims or Interests in more than one Class under the Plan you may receive more than one Opt-Out Form or Ballot with respect to the Plan for each different Class. Each Opt-Out Form or Ballot governs only your Claims or Interests indicated on that Opt-Out Form and/or Ballot, so please complete and return each Opt-Out Form or Ballot you received.

10. After the Voting Deadline, no Opt-Out Form may be withdrawn or modified without the prior written consent of the Debtors.

IF YOU CHOOSE TO OPT OUT OF THE THIRD-PARTY RELEASE, PLEASE SUBMIT YOUR OPT-OUT FORM PROMPTLY.

IF YOU HAVE ANY QUESTIONS REGARDING THIS OPT-OUT FORM, THESE OPT-OUT FORM INSTRUCTIONS, OR THE PROCEDURES FOR OPTING OUT OF THE THIRD-PARTY RELEASE, PLEASE CALL THE CLAIMS, NOTICE, AND SOLICITATION AGENT AT THE CONTACT INFORMATION IN THE OPT-OUT FORM.

PLEASE NOTE THAT THE CLAIMS, NOTICE, AND SOLICITATION AGENT IS NOT AUTHORIZED TO PROVIDE, AND WILL NOT PROVIDE, LEGAL OR FINANCIAL ADVICE.

IF THE CLAIMS, NOTICE, AND BALLOTING AGENT DOES NOT ACTUALLY RECEIVE THIS OPT-OUT FORM PRIOR TO THE VOTING DEADLINE, WHICH IS 4:00 P.M. CENTRAL TIME ON JULY 30, 2021, YOUR ELECTION TRANSMITTED HEREBY WILL NOT BE COUNTED.

2

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Exhibit P

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Exhibit P Disputed Claims Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip 507 Summit LLC c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359 Bayou Marine & Rigging Attn: Drew Allain Jr. 2901 Toulouse St New Orleans LA 70119 Clean Swift Janitorial Service, Inc. Alan Poritz 398 Manor Road Staten Island NY 10314 Delaware City Refining Company LLC c/o PBF Holding Company, LLC Attn: Trecia Canty 1 Sylvan Way 2nd Floor Parisppany NJ 07054 E.N. Bisso & Son, Inc. Attn: Stewart F. Peck 601 Poydras St. Suite 2775 New Orleans LA 70130 c/o Arnold & Itkin LLP Jason Itkin, Eric Hannan Noah Wexler and Ben Bireley 6009 Memorial Drive Houston TX 77007 Attn: Jason Itkin, Noah Wexler, Ben Bireley and Rebecca 6009 Memorial Eric Hannan c/o Arnold & Itkin, LLP Adams Drive Houston TX 77007 Greenwich Terminals, LLC Attn: Lisa Kline PO Box 416 Gloucester City NJ 08030 Hafnia Tankers Shipholding Malta Ltd. c/o Mahoney & Keane, LLP 40 Worth St., 10th Floor New York NY 11937 Intergulf Marine, LLC PO Box 906 Houston TX 77001 Louisiana Machinery Company, LLC, d/b/a Resource Power Group Attn: James W. Thurman 601 Poydras Street Suite 2775 New Orleans LA 70130 O’Neika K. Davis c/o The Buzbee Law Firm 600 Travis Street #7300 Houston TX 77002 600 Travis O'Neika K. Davis c/o The Buzbee Law Firm Attn: Christopher J. Leavitt Street, #7300 Houston TX 77002 Paulsboro Refining Company LLC c/o PBF Holding Company, LLC Attn: Trecia Canty 1 Sylvan Way 2nd Floor Parisppany NJ 07054 Robert Martinez M.D. P.A. Attn: JoAnne M Martinez 402 West Dr Ml King Blvd Tampa FL 33603 Separator Spares and Equipment, LLC Attn: Leslie Lapeyrouse 144 Intracoastal Drive Houma LA 70363 Xerox Corporation Attn: V.O. Adams PO Box 660506 Dallas TX 75057

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 1 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 112 of 144

Exhibit Q

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IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

) In re: ) Chapter 11 ) BOUCHARD TRANSPORTATION CO., INC., et al.,1 ) Case No. 20-34682 (DRJ) ) Debtors. ) (Jointly Administered) )

NOTICE OF NON-VOTING STATUS WITH RESPECT TO DISPUTED CLAIMS OR INTERESTS

PLEASE TAKE NOTICE THAT on June 23, 2021, the United States Bankruptcy Court for the Southern District of Texas (the “Court”) entered an order (the “Disclosure Statement Order”): (a) authorizing the above-captioned debtors and debtors in possession (collectively, the “Debtors”), to solicit votes on the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or otherwise modified from time to time, the “Plan”);2 (b) conditionally approving the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”) as containing “adequate information” pursuant to section 1125 of the Bankruptcy Code; (c) approving the solicitation materials and documents to be included in the solicitation packages (the “Solicitation Packages”); and (d) approving procedures for soliciting, receiving, and tabulating votes on the Plan and for filing objections to confirmation of the Plan and final approval of the Disclosure Statement.

PLEASE TAKE FURTHER NOTICE THAT the Disclosure Statement, Disclosure Statement Order, and other documents and materials included in the Solicitation Package, except ballots, may be obtained at no charge from Stretto, the claims, notice, and solicitation agent retained by the Debtors in these chapter 11 cases (the “Claims, Notice, and Solicitation Agent”) by: (a) calling the Debtors’ restructuring hotline at 855-923-1038 (toll free) or 949-236-4792 (international); (b) visiting the Debtors’ restructuring website at: https://cases.stretto.com/bouchard; (c) writing to Bouchard Ballot Processing, c/o Stretto, 410 Exchange, Suite 100, Irvine, CA 92602; and/or (d) emailing [email protected]. You may also obtain copies of any pleadings filed in these chapter 11 cases for a fee via PACER at: https://ecf.txsb.uscourts.gov/.

PLEASE TAKE FURTHER NOTICE THAT you are receiving this notice because you are the Holder of a Claim or Interest that is subject to a pending objection by the Debtors. You are not entitled to vote any disputed portion of your Claim or Interest on the Plan unless one or more of the following

1 Due to the large number of Debtors in these chapter 11 cases, a complete list of the Debtor entities and the last four digits of their federal tax identification numbers is not provided herein. A complete list may be obtained on the website of the Debtors’ claims and noticing agent at https://cases.stretto.com/bouchard. The location of the Debtors’ service address is: 58 South Service Road, Suite 150, Melville, New York 11747.

2 Capitalized terms not otherwise defined herein shall have the same meaning as set forth in the Plan.

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events have taken place before July 28, 2021 (the date that is two business days before the Voting Deadline) (each, a “Resolution Event”):

1. an order of the Court is entered allowing such Claim or Interest pursuant to section 502(b) of the Bankruptcy Code, after notice and a hearing;

2. an order of the Court is entered temporarily allowing such Claim or Interest for voting purposes only pursuant to Bankruptcy Rule 3018(a), after notice and a hearing;

3. a stipulation or other agreement is executed between the Holder of such Claim or Interest and the Debtors resolving the objection and allowing such Claim or Interest in an agreed upon amount;

4. a stipulation or other agreement is executed between the Holder of such Claim or Interest and the Debtors temporarily allowing the Holder to vote its Claim or Interest in an agreed upon amount; or

5. the pending objection is voluntarily withdrawn by the objecting party.

Accordingly, this notice and the Notice of Entry of Order Approving (I) Adequacy of the Disclosure Statement, (II) the Solicitation and Notice Procedures, (III) Form of Ballots and Notices in Connection Therewith, and (IV) Certain Dates with Respect Thereto is being sent to you for informational purposes only.

PLEASE TAKE FURTHER NOTICE THAT if a Resolution Event occurs, then no later than two business day thereafter, the Claims, Notice, and Solicitation Agent shall distribute a ballot, and a pre-addressed, postage prepaid envelope to you, which must be returned to the Claims, Notice, and Solicitation Agent no later than the Voting Deadline, which is on July 30, 2021, at 4:00 p.m., prevailing Central Time.

PLEASE TAKE FURTHER NOTICE THAT if you have any questions about the status of any of your Claims or Interests, you should contact the Claims, Notice, and Solicitation Agent in accordance with the instructions provided above.

2

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Houston, Texas July 9, 2021

/s/ Matthew D. Cavenaugh JACKSON WALKER L.L.P. KIRKLAND & ELLIS LLP Matthew D. Cavenaugh (TX Bar No. 24062656) KIRKLAND & ELLIS INTERNATIONAL LLP Genevieve M. Graham (TX Bar No. 24085340) Ryan Blaine Bennett, P.C. (admitted pro hac vice) 1401 McKinney Street, Suite 1900 Whitney Fogelberg (admitted pro hac vice) Houston, Texas 77010 300 North LaSalle Street Telephone: (713) 752-4200 Chicago, Illinois 60654 Facsimile: (713) 752-4221 Telephone: (312) 862-2000 Email: [email protected] Facsimile: (312) 862-2200 [email protected] Email: [email protected] [email protected]

- and -

KIRKLAND & ELLIS LLP KIRKLAND & ELLIS INTERNATIONAL LLP Christine A. Okike, P.C. (admitted pro hac vice) 601 Lexington Avenue New York, New York 10022 Telephone: (212) 446-4800 Facsimile: (212) 446-4900 Email: [email protected]

Co-Counsel to the Debtors Co-Counsel to the Debtors and Debtors in Possession and Debtors in Possession

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 116 of 144

OPTIONAL: RELEASE OPT-OUT FORM

You are receiving this opt out form (the “Opt-Out Form”) because you are a holder of a Claim or Interest that is not entitled to vote on the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (as may be amended, supplemented, or modified from time to time, the “Plan,”), as set forth in the Disclosure Statement Relating to the Joint Plan of Bouchard Transportation Co., Inc. and its Debtor Affiliates Pursuant to Chapter 11 of the Bankruptcy Code (the “Disclosure Statement”).

Article X.E of the Plan provides for the following Third-Party Release:1

AS A “RELEASING PARTY” UNDER THE PLAN, YOU ARE DEEMED TO PROVIDE THE RELEASES CONTAINED IN ARTICLE X.E OF THE PLAN SET FORTH BELOW:

Effective as of the Effective Date, for good and valuable consideration, the adequacy of which is hereby confirmed, including the obligations of the Debtors under the Plan and the contributions of the Released Parties to facilitate and implement the Plan, to the fullest extent permissible under applicable law, each Releasing Party, in each case on behalf of itself and its respective successors, assigns, and representatives, and any and all other entities who may purport to assert any Claim or Cause of Action, directly or derivatively, by, through, for, or because of the foregoing entities, is deemed to have conclusively, absolutely, unconditionally, irrevocably, and forever, released and discharged each Debtor, the Post- Effective Date Debtor, and Released Party from any and all claims, interests, obligations, rights, suits, damages, Causes of Action (including Avoidance Actions), remedies, and liabilities whatsoever, whether known or unknown, foreseen or unforeseen, in law, equity, or otherwise, including any derivative claims, asserted or assertable on behalf of any of the Debtors, the Post-Effective Date Debtor, or their respective Estates, that such Entity would have been legally entitled to assert (whether individually or collectively), based on or relating to, or in any manner arising from, in whole or in part, the Debtors (including the

1 Under the Plan, “Released Party” means each of, in its capacity as such: (a) the Debtors; (b) the Plan Administrator and Post-Effective Date Debtor; (c) the Replacement DIP Lender; (d) the Replacement DIP Agent; (e) the Committee; (f) each member of the Committee; (g) the Chief Restructuring Officer; (h) Portage Point; (i) the Independent Director; and (j) each Related Party of each Entity in the foregoing clauses (a) through (i); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Released Party”. Notwithstanding the foregoing, neither Mr. Bouchard nor any other Bouchard Interested Party shall be a “Released Party”.

Under the Plan, “Releasing Parties” means, collectively, and in each case in its capacity as such: (a) the Debtors; (b) Post-Effective Date Debtor; (c) Wells Fargo; (d) the Replacement DIP Lender; (e) the Replacement DIP Agent; (f) the Committee; (g) each member of the Committee; (h) the Chief Restructuring Officer; (i) Portage Point; (j) the Independent Director; (k) all Holders of Claims or Interests; and (l) each Related Party of each Entity in the foregoing clauses (a) through (k); provided that any Holder of a Claim or Interest that validly opts out of the releases contained in the Plan or validly objects to the releases contained in the Plan (and such objection is not resolved prior to entry of the Confirmation Order) shall not be a “Releasing Party”; provided, further, that, notwithstanding the foregoing, all rights, claims, and defenses, if any, based on or relating to Avoidance Actions that may be brought with respect to transactions with Mr. Bouchard or any other Bouchard Interested Party are expressly reserved.

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management, ownership or operation thereof), the purchase, sale, or rescission of any security of the Debtors or the Post-Effective Date Debtor, the subject matter of, or the transactions or events giving rise to, any Claim or Interest that is treated in the Plan, the business or contractual arrangements between any Debtor and any Released Party, the Debtors’ in- or out-of-court restructuring efforts, intercompany transactions, the Replacement DIP Facility, the Replacement DIP Orders, the Prepetition Revolving Credit Facility, the Sale Transaction, the Asset Purchase Agreement, the Chapter 11 Cases, the formulation, preparation, dissemination, negotiation, entry into, or filing of, any of the foregoing, the Disclosure Statement, the Plan (including, for the avoidance of doubt, the Plan Supplement), or any Plan Transaction, contract, instrument, release, or other agreement or document created or entered into in connection with the Disclosure Statement, the Plan, the filing of the Chapter 11 Cases, the pursuit of Confirmation, the pursuit of Consummation, the administration and implementation of the Plan, including the issuance or distribution of Securities pursuant to the Plan, or the distribution of property under the Plan or any other related agreement, or upon any other related act, or omission, transaction, agreement, event, or other occurrence taking place on or before the Effective Date. Notwithstanding anything to the contrary in the foregoing or in this Plan, the releases set forth above do not release any post-Effective Date obligations of any Person or Entity under the Plan, the Confirmation Order, any Plan Transaction, the Asset Purchase Agreement, or any other document, instrument, or agreement (including those set forth in the Plan Supplement) executed to implement the Plan.

Entry of the Confirmation Order shall constitute the Bankruptcy Court’s approval, pursuant to Bankruptcy Rule 9019, of the foregoing Third-Party Release, which includes by reference each of the related provisions and definitions contained herein, and, further, shall constitute the Bankruptcy Court’s finding that the foregoing Third-Party Release is: (a) consensual; (b) essential to the Confirmation of the Plan; (c) given in exchange for a substantial contribution and for the good and valuable consideration provided by the Released Parties that is important to the success of the Plan; (d) a good faith settlement and compromise of the Claims and Interests released by the foregoing Third-Party Release; (e) in the best interests of the Debtors and their Estates; (f) fair, equitable, and reasonable; (g) given and made after due notice and opportunity for hearing; and (h) a bar to any of the Releasing Parties asserting any claim or Cause of Action released pursuant to the foregoing Third Party Release.

IF YOU ELECT TO OPT OUT OF THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN, YOU WILL FOREGO THE BENEFIT OF OBTAINING THE RELEASES SET FORTH IN ARTICLE X.E OF THE PLAN IF YOU ARE A RELEASED PARTY IN CONNECTION THEREWITH.

OPTIONAL RELEASE ELECTION. YOU MAY ELECT TO OPT OUT OF THE RELEASE CONTAINED IN ARTICLE X.E OF THE PLAN ONLY IF YOU CHECK THE BOX BELOW:

☐ The Undersigned holder of the Claim or Interest elects to OPT OUT of the Third Party Release

2

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Certifications.

By signing this Opt-Out Form, the undersigned certifies to the Court and the Debtors that:

(a) as of the Voting Record Date either: (i) the undersigned is the Holder of a Claim or Interest; or (ii) the undersigned is an authorized signatory for a person or an entity that is the Holder of the Claim or Interest;

(b) the Holder has received a copy of the Notice Non-Voting Status with Respect to Disputed Claims or Interests, including instructions to access the Plan and Disclosure Statement, and that this Opt-Out Form is made pursuant to the terms and conditions set forth therein;

(c) that the Holder has submitted the same respective election concerning the releases with respect to all Claims or Interests held by such Holder; and

(d) that no other Opt-Out Form has been submitted or, if any other Opt Out Forms have been submitted with respect to such Claims or Interests, then any such earlier Opt- Out Forms are hereby revoked.

You may obtain access, free of charge, to the Plan, the Disclosure Statement, and the Disclosure Statement Order (without exhibits except the Solicitation and Voting Procedures) in electronic format through the Debtors’ restructuring website (https://cases.stretto.com/bouchard). Any party that would prefer a paper format of the Plan, the Disclosure Statement, and the Disclosure Statement Order may contact Stretto (the “Claims, Notice, and Solicitation Agent”) using the contact information below.

Name of Holder: (Print or Type) Social Security (Last 4 Digits) or Federal Tax Identification Number:

Signature: Name of Signatory: (If Other Than Holder) Title: Address:

Date Completed:

3

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IF YOU HAVE MADE THE OPTIONAL OPT-OUT ELECTION, PLEASE COMPLETE, SIGN, AND DATE THIS OPT-OUT FORM AND RETURN IT PROMPTLY (WITH AN ORIGINAL SIGNATURE) TO:

If by mail:

Bouchard Ballot Processing c/o Stretto 410 Exchange, Suite 100 Irvine, CA 92602

If by hand delivery or overnight courier:

Bouchard Ballot Processing c/o Stretto 410 Exchange, Suite 100 Irvine, CA 92602

Alternatively, to submit your Opt-Out Form via the Claims, Notice, and Solicitation Agent’s online portal, visit https://cases.stretto.com/bouchard

Telephone: (855) 923-1038 (toll free) (949) 236-4792 (international) Email: [email protected]

THE VOTING DEADLINE IS JULY 31, 2021 AT 4:00 P.M. PREVAILING CENTRAL TIME.

IF YOU CHOOSE TO OPT OUT OF THE THIRD-PARTY RELEASE, PLEASE SUBMIT YOUR OPT-OUT FORM PROMPTLY.

IF YOU HAVE ANY QUESTIONS REGARDING THIS OPT-OUT FORM, THESE OPT-OUT FORM INSTRUCTIONS, OR THE PROCEDURES FOR OPTING OUT OF THE THIRD-PARTY RELEASE, PLEASE CALL THE CLAIMS, NOTICE, AND SOLICITATION AGENT AT THE CONTACT INFORMATION IN THE OPT-OUT FORM.

PLEASE NOTE THAT THE CLAIMS, NOTICE, AND SOLICITATION AGENT IS NOT AUTHORIZED TO PROVIDE, AND WILL NOT PROVIDE, LEGAL OR FINANCIAL ADVICE.

4

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 120 of 144

IF THE CLAIMS, NOTICE, AND SOLICITATION AGENT DOES NOT ACTUALLY RECEIVE THIS OPT-OUT FORM PRIOR TO THE VOTING DEADLINE, WHICH IS 4:00 P.M. CENTRAL TIME ON JULY 30, 2021, YOUR ELECTION TRANSMITTED HEREBY WILL NOT BE COUNTED.

5

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Exhibit R

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Exhibit R Master Service List Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country 58/68 S. Service Road SPE LLC c/o RXR Realty Attn: Frank Pusinelli and Molly Siegal 625 RXR Plaza Uniondale NY 11556 A.R.M. Marine Supply, LLC c/o Nicoletti Hornig & Sweeney Attn: Val Wamser 88 Pine Street 7th Floor New York NY 10005 Alabama Department of Environmental Management 1400 Coliseum Boulevard Montgomery AL 36110-2400 Alabama Office Of The Attorney General 501 Washington Ave Montgomery AL 36104 c/o Schouest, Bamdas, Soshea & Attn: Robert P. Vining, Michael W. American Bureau of Shipping BenMaier PLLC Hogue 1001 McKinney St. Suite 1400 Houston TX 77002 Armorica Sales Inc. 2589 Richmond Terrace Staten Island NY 10310 Billybey Marina Services, LLC c/o Cozen O'Connor Attn: Eric L. Scherling 1650 Market Street Suite 2800 Philadelphia PA 19103 Bollinger Algiers, LLC, Bollinger Amelia Repair, LLC, Bollinger Marine Fabricators, LLC and Bollinger Attn: Scott R. Cheatham and Matthew Shipyards Lockport, LLC c/o Adams and Reese LLP Guy 701 Poydras Street Suite 4500 New Orleans LA 70139 Boston Line & Service Co. Inc, and Coast Line Service c/o Pusateri, Johnston, Guillot & 1100 Poydras Street, Suite Inc. Greenbaum, LLC Attn: Aaron B. Greenbaum 2250 New Orleans LA 70163 Caddell Dry Dock & Repair Co., Inc. c/o Kilmer Crosby & Quadros PLLC Attn: Brian A. Kilmer 712 Main Street Ste 1100 Houston TX 77002 CFGI, LLC C/O M&T Lockbox 8000159 Amherst NY 14228 Clean Water Of New York, Inc. 3249 Richmond Terrace Staten Island NY 10303-0312 Connecticut Department of Energy and Environmental Protection 79 Elm Street Hartford CT 06106-5127 Connecticut Office Of The Attorney General 55 Elm St Hartford CT 06106 Delaware Department Of Justice Carvel State Office Building 820 N French Street Wilmington DE 19801 Delaware Department of Natural Resources and Environmental Control 89 Kings Highway Dover DE 19901

Drawbridge Special Opportunities Fund LP and DBDB Attn: Tyson M. Lomazow, Benjamin Funding LLC c/o Milbank LLP M. Schak, and Justin G. Cunningham 55 Hudson Yards New York NY 10001-2163 Drawbridge Special Opportunities Fund LP and DBDB Attn: Jason L. Boland and William R. Funding LLC c/o Norton Rose Fulbright US LLP Greendyke 1301 McKinney Suite 5100 Fullbright Tower Houston TX 77010-3095 Engine Systems Dba Marine Systems PO Box 301138 Dallas TX 75303-1138 Environmental Protection Agency Region 6 Main Office 1445 Ross Avenue Suite 1200 Dallas TX 75202 Office of Enforcement and Compliance Environmental Protection Agency Assurance Mail Code 2271A 1200 Pennsylvania Ave Washington DC 20460 EPA Region 1 5 Post Office Square Suite 100 Boston MA 02109 EPA Region 2 290 Broadway New York NY 10007-1866 EPA Region 3 1650 Arch Street Philadelphia PA 19103-2029 Sam Nunn Atlanta Federal EPA Region 4 61 Forsyth Street SW Center Atlanta GA 30303-8960 EPA Region 6 1201 Elm Street Suite 500 Dallas TX 75270 Flight Safety International PO Box 75691 Charlotte NC 28275 Florida Department of Environmental Protection 3900 Commonwealth Boulevard Tallahassee FL 32399-3000 Florida Office Of The Attorney General State Of Florida The Capitol Pl?01 Tallahassee FL 32399 Force Power Systems, LLC c/o Staines, Eppling & Kenney APLC Attn: Corey P. Parenton 3500 N. Causeway Boulevard Suite 820 Metairie LA 70002 Attn: David N. Brooks, General Counsel, David Sharpe, Credit Operations, and Fortress Credit Co, LLC Apostolos Peristeris 1345 Avenue of the Americas 46th Floor New York NY 10105 Fortress Credit Co, LLC c/o Milbank LLP Attn: Tyson M. Lomazow 55 Hudson Yards New York NY 10001-2163 Freehill, Hogan, & Mahar LLP 80 Pine Street New York NY 10005-1759 Georgia Environmental Protection Division 2 Martin Luther King Jr. Drive SE Suite 1456 East Tower Atlanta GA 30334 Georgia Office Of The Attorney General 40 Capitol Sq SW Atlanta GA 30334 GMD Shipyard Corp. Brooklyn Navy Yard Bldg #595 Brooklyn NY 11205 GMD Shipyard Corp. c/o Kennedy Lillis Schmidt & English Attn: John T. Lillis Jr. 75 Maiden Lane Suite 402 New York NY 10038 Gulf Copper & Manufacturing 5700 Procter Street Ext Port Arthur TX 77554 Attn: Benjamin W. Kadden, c/o Lugenbuhl Wheaton Peck Rankin & Christopher T. Caplinger, & Coleman Pan American Life Hartree Partners, LP Hubbard L. Torrans 601 Poydras St Center, Suite 2775 New Orleans LA 70130 Attn: Frank A. Merola, Alex Cota, Christopher M. Guhin, & Matthew Hartree Partners, LP c/o Stroock & Stroock & Lavan LLP Garofalo 180 Maiden Lane New York NY 10038 Houston NFL Holdings, L.P. c/o Winstead PC Attn: Sean B. Davis 600 Travis Street, Suite 5200 Houston TX 77002 Intercontinental PO Box 9055 Kansas City MO 64168 Internal Revenue Service 1919 Smith Street M/S 522HOU Houston TX 77002

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 3 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 123 of 144

Exhibit R Master Service List Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country International Ship Repair 1616 Penny St Tampa FL 33602 Attn: Robert M. Hirsh, Phillip Khezri, JMB Capital Lending Partners, LLC c/o Lowenstein Sandler LLP and Brent Weisenberg 1251 Avenue of the Americas New York NY 10020 L & R Midland, Inc. 788 W Sam Houston Parkway N Ste 200 Houston TX 77024-4545 Louisiana Department of Environmental Quality 602 North Fifth Street Baton Rouge LA 70802 Louisiana Office Of The Attorney General 1885 N. Third St Baton Rouge LA 70802 Maine Department of Enviornmental Protection 17 State House Station Augusta ME 04333 Maine Office Of The Attorney General 6 State House Station Augusta ME 04333 Marine Systems Inc. PO Box 301284 Dallas TX 75303-1284 Maryland Department of the Environment 1800 Washington Blvd Baltimore MD 21230 Maryland Office Of The Attorney General 200 St. Paul Pl Baltimore MD 21202 Massachusetts Department of Environmental Protection 8 New Bond Street Worcester MA 01606 Massachusetts Office Of The Attorney General 1 Ashburton Place, 20th Floor Boston MA 02108 111 South Wacker Drive Suite Matthew Ray as CRO & Portage Point Partners, LLC c/o White & Case LLP Attn: Gregory Pesce 5100 Chicago IL 60606 Attn: J. Christopher Shore, Charles R. Matthew Ray as CRO & Portage Point Partners, LLC c/o White & Case LLP Koster, & Brandon Batzel 1221 Avenue of the mericas New York NY 10020 MCA Associates, Inc. 8 Sound Shore Drive Greenwich CT 06830 Metropolitan Marine Transporation, Inc. 2411 Richmond Road Staten Island NY 10306 Mississippi Department of Environmental Quality Attn: Legal Dept PO Box 2249 Jackson MS 39225 Mississippi Office Of The Attorney General Walter Sillers Building 550 High St Ste 1200 Jackson MS 39201 Attn: Charles S. Kelley, Gary W. Morton S. Bouchard, III, and his Affiliates c/o Mayer Brown LLP Johnson & James B. Danford, Jr. 700 Louisiana St., Suite 3400 Houston TX 77002 Morton S. Bouchard, III, and his Affiliates c/o Mayer Brown LLP Attn: Douglas E. Spelfogel 1221 Avenue of the Americas New York NY 10020 Morton S. Bouchard, III, Linda Bouchard, and the Morton S. Bouchard III 2017 Family Trust c/o Mayer Brown LLP Attn: Derek L. Wright 71 South Wacker Dr. Chicago IL 60606 Murphy, Rogers, Sloss & Gambel One Shell Square New Orleans LA 70139-7909 New Hampshire Department of Environmental Services PO Box 95 Concord NH 03302-0095 New Hampshire Office Of The Attorney General NH Department Of Justice 33 Capitol St. Concord NH 03301 New Jersey Department of Environmental Protection 401 East State Street PO Box 402 Mailing Code: 401-07 Trenton NJ 8625 New Jersey Office Of The Attorney General Richard J. Hughes Justice Complex 25 Market St 8th Fl, West Wing Trenton NJ 08611 New York Department of Environmental Protection 59-17 Junction Boulevard 13th Floor Flushing NY 11373 New York Office Of The Attorney General Attn: Litigation Bureau Justice Building, 2nd Floor Albany NY 12224 North Carolina Attorney General'S Office 114 W Edenton St Raleigh NC 27603 North Carolina Department of Environmental Quality 217 West Jones Street Raleigh NC 27603 Northeastern Air Management Corp. Attn: Peter J. Montemurro 8200 Republic Airport Farmingdale NY 11735 401 N. Michigan Avenue, Suite Novum Energy Trading, Inc. c/o The McLauchlan Law Group LLC Attn: David C. McLauchlan 1200 Chicago IL 60611 NRE Power Systems Incorporated 8440 Solutions Center Chicago IL 60677-8004 Office of the U.S. Trustee for the Southern District of Attn: Hector Duran, Jr. and Stephen Texas Douglas Statham 515 Rusk Street Suite 3516 Houston TX 77002 Attn: John R. Keough, George Cornell 405 Lexington Avenue, 16th Official Committee of Unsecured Creditors c/o Clyde & Co US LLP & Sigal Markowitz Floor New York NY 10174 Attn: Gregg M. Galardi, Matthew M. Official Committee of Unsecured Creditors c/o Ropes & Gray LLP Roose, and Daniel G. Egan 1211 Avenue of the Americas New York NY 10036-8704 Owen Petersen & Company 399 Route 109 Suite 2 West Babylon NY 11704-6213 PBF Holding Company, LLC; Paulsboro Refining Company, LLC; and Delaware City Refining Company, Attn: James E. Wright III, Laura F. 201 St. Charles Avenue, Suite LLC c/o Jones Walker LLP Ashley, and Madison M. Tucker 5100 New Orleans LA 70170 Plaza Marine, Incorporated / Harbor Plaza Consolidated PO Box 842610 Boston MA 02284-02610 Rhode Island Bureau of Environmental Protection Attn: Terrence Gray 235 Promenade St. Providence RI 02908 Rhode Island Office Of The Attorney General 150 S Main St Providence RI 02903 Attn: Randy W. Williams, Ryan E. Robert Dunham, Timothy Lerette, and Lonnie Roberts c/o Cain & Skarnulis PLLC Chapple, and Chelsea L. Schell 400 W. 15th Street Suite 900 Austin TX 78701 Attn: Ryan E. Chapple and Chelsea L. Robert Dunham, Timothy Lerette, and Lonnie Roberts c/o Cain & Skarnulis PLLC Schell 400 W. 15th Street, Suite 900 Austin TX 78701 Rolls-Royce PLC HSBC Bank PLC 62-76 Park Street London SE1 9WP United Kingdom Royston, Rayzor, Vickery and Williams Attn: Blake Bachtel & David Walker 1600 Smith Street Suite 5000 Houston TX 77002 Ryan Marine Services, Inc. c/o William H. Seele, Julian & Seele P.C. Attn: Andy Ryan 1220 Blalock Road Suite 160 Houston TX 77055-6473 Securities and Exchange Commission 100 F Street, NE Washington DC 20549

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 2 of 3 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 124 of 144

Exhibit R Master Service List Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Securities and Exchange Commission Attn: Regional Director Brookfield Place 200 Vesey Street, Suite 400 New York NY 10281-1022 One Gateway Center, Suite Signature Bank c/o Meyner and Landis LLP Attn: David B. Grantz 2500 Newark NJ 07102 Skout Monitoring 270 South Service Road Melvile NY 11747 South Carolina Department of Health and Environmental Control 2600 Bull Street Columbia SC 29201 South Carolina Office Of The Attorney General Rembert C. Dennis Bldg 1000 Assembly St Rm 519 Columbia SC 29201 St Engineering Halter Marine PO Box 1308 Pascagoula MS 39568-1308 ST Engineering Halter Marine and Offshore, Inc. c/o Bland & Partners, LLC Attn: David S. Bland 5500 Prytania St., #618 New Orleans LA 70115 Stewart & Stevenson PO Box 301063 Dallas TX 75303-1063 c/o Schouest, Bamdas, Soshea & Attn: Susan Noe Wilson, Thomas O. T&T Offshore, Inc. BenMaier, PLLC Deen, and Melissa Anderson 1001 McKinney St. Ste 1400 Houston TX 77002 Texas Commission on Environmental Quality PO Box 13087 Austin TX 78711-3087 Texas Office Of The Attorney General 300 W. 15th St Austin TX 78701 The Port Authority Of NY & NJ PO Box 95000 Philadelphia PA 19195-1517 Unclaimed Property Division of the Texas Comptroller of Bankruptcy & Collections Public Accounts c/o Office of the Attorney General of TX Attn: Jason B. Binford Division PO Box 12548-MC 008 Austin TX 78711-2548 United States Attorney’s Office for the Southern District of Texas 1000 Louisiana Ste. 2300 Houston TX 77002 c/o Assistant United States Attorney United States of America SDTX Attn: Richard A. Kincheloe 1000 Louisiana St. Suite 2300 Houston TX 77002 Unitedhealthcare Insurance Company 22703 Network Place Chicago IL 60673-1227 UnitedHealthcare Insurance Company c/o Shipman & Goodwin LLP Attn: Eric S. Goldstein One Constitution Plaza Hartford CT 06103-1919 Virginia Department of Environmental Quality 1111 East Main Street Suite 1400 Richmond VA 23219 Virginia Office Of The Attorney General 202 N. Ninth St. Richmond VA 23219 VT Halter Marine Attn: D. Margaret Gambrell 900 Bayou Casotte Pkwy Pascagoula MS 39581 Wells Fargo Bank, N.A. c/o Reed Smith LLP Attn: Lindsey L. Robin 2850 N. Harwood Suite 1500 Dallas TX 75201 Wells Fargo Bank, National Association Attn: Edward P. Nallan, Jr. 58 S. Service Road Suite 100 Melville NY 11747 1717 Arch Street, Suite Wells Fargo Bank, National Association c/o Reed Smith LLP Attn: Matthew E. Tashman Three Logan Square 3100 Philadelphia PA 19103 Attn: John E. Westerman & Mickee M. Westerman Ball Ederer Miller Zucker & Sharfstein, LLP Hennessy 1201 RXR Plaza Uniondale NY 11556 Yellow Fin Marine Consulting LLC c/o Liskow & Lewis Attn: Michael D. Rubenstein 1001 Fannin Street Suite 1800 Houston TX 77002

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 3 of 3 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 125 of 144

Exhibit S

Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 126 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country 3D Marine 12411 Donna Drive Houston TX 77067 507 Summit LLC 93 4th Ave, POB 1527 New York NY 10023 507 Summit LLC PO Box 1527 93 4th Avenue New York NY 10003 507 SUMMIT LLC (AS ASSIGNEE TO RHOADS INDUSTRIES, INC.) c/o 507 Capital LLC PO Box #206 N. Stonington CT 06359 58/68 S. Service Road Spe LLC 625 Rxr Plaza Uniondale NY 11556 Abacus Group, LLC 14 Penn Plaza Suite 1600 New York NY 10122 ABS Americas PO Box 301249 Dallas TX 75303-1249 ABS Group PO Box 301249 Dallas TX 75303-1249 ABS Nautical Systems American Bureau Of Shipping PO Box 915090 DALLAS TX 75391-5090 ABS Nautical Systems LLC 16855 Northchase Drive Houston TX 77060 ABSG Consulting 16855 Northchase Drive Houston TX 77060 Access Staffing, LLC PO Box 75334 Chicago IL 60675-5334 Acme Industrial Inc 326-328 Front Street Staten Island NY 10304 Acme Industrial Inc c/o The Miller Law Offices PLC Attn: Steven J Miller 4000 Ponce De Leon Blvd Suite 470 Coral Gables FL 33146 Adam H Schneiderman Address Redacted Adams Jr, Malcolm Address Redacted Adams, Thomas S Address Redacted ADP Inc. PO Box 842875 Boston MA 02284-2875 ADP Screening & Selection Services PO Box 645177 Cincinnati OH 45264-5177 ADP, Inc. One ADP Boulevard Roseland NJ 07068 Aetna 151 Farmington Ave Hartford CT 06156 Aetna PO Box 804735 Chicago IL 60680 Airgas Safety, Inc. Po Box 532609 Atlanta GA 30353-2609 Air-Sea Safety & Survival 120 Williman Street Charleston SC 29403 1155 Perimeter Center West Suite Airwatch LLC 100 Atlanta GA 30338 Alabama Department of Revenue 50 N. Ripley Montgomery AL 36104 Alabama State Docks Attn: Accounting P O Box 1588 Mobile AL 36633 Alden N Collet Address Redacted Alexander Ryan Marine Group PO Box 742966 Atlanta GA 30374-2966 Alexander Sharpe Address Redacted Alexander, Ernest Address Redacted All Star Limousine 380 New Highway Lindenhurst NY 11757 Allen, Leonard C Address Redacted Alternative Marine Technologies 4 Norman Avenue Norwalk CT 06855 Alternative Marine Technologies LLC 132 Water Street Suite 4 Norwalk Connecticut 06854 Alvarez, Marvin Address Redacted Amboy Medical Practice PC PO Box 29120 New York NY 10087 American Alternative Insurance Corp One Liberty Plaza 165 Broadway Suite 3201 New York NY 10006 American Alternative Insurance Corp Attn: Legal Dept. 555 College Rd East PO Box 5241 Princeton NJ 08543 American Bureau of Shipping 1701 City Plaza Drive Spring TX 77389 American Bureau of Shipping c/o Corporation Service Company 80 State Street Albany NY 12207-2543 c/o The Prentice Hall Corp. System, American Bureau of Shipping Inc 211 E. 7th Street Suite 620 Austin TX 78701-3218 American Fuel & Petrochemical Manufacturers 1667 K Street, Nw Suite 700 Washington DC 20006 American Global Maritime 1155 Dairy Ashford Rd Suite 250 Houston TX 77079 American Nautical Systems, Inc 3311 So Andrews Ave, Suite 11 Fort Lauderdale FL 33316 American Steamship Owners Mutual Protection and Indemnity Association Attn: Legal Department One Battery Park Plaza 31st Floor New York NY 10004 Amos Franks Address Redacted Anderson-Kelly Associates, Inc. 500 International Drive Suite 205 Mount Olive NJ 07828 Andrew M Fortunato Address Redacted Anna M Ott Address Redacted Anthony C Anatra Address Redacted Anthony Joseph Severino 100 N. Tampa St Suite 1900 Tampa FL 33602 Anthony Lawler Address Redacted Anzevino Photography 31 Mile Hill Road Highland NY 12528 Aon Risk Services Northeast, Inc. PO Box 7247-7376 PHILADELPHIA PA 19170-7376 165 Broadway, Suite Aon Risk Services Northeast, Inc. Attn: Legal Dept. New York NY Office One Liberty Plaza 3201 New York NY 10006 Aon UK Limited Attn: Legal Dept. Level 30, The Leadenhall Building 122 Leadenhall Street London EC3V 4AB United Kingdom Apex Oil Company 8235 Forsyth Blvd St. Louis MO 63105 Apollo International Corp. PO Box 100077 Staten Island NY 10310 Apollo Intl Corp Attn: John Mitropoulos 1562 Richmond Terrace Staten Island NY 10310

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 1 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 127 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Apollo Intl Corp Attn: John Mitropoulos PO Box 100077 Staten island NY 10310 Apollo Maritime International PO Box 100077 Staten Island NY 10310 Aran Primrose Address Redacted Aransas-Corpus Christi Pilots PO Box 2767 Corpus Christi TX 78403 Arinc Incorporated PO Box 951273 Dallas TX 75395-173 Ascot Insurance Company 225 Broadhollow Road Suite 405 Melville NY 11747 Ascot Insurance Company Attn: Legal Dept. 55 W. 46th Street 26th Floor New York NY 10036 Ashley A Erdle Address Redacted Ashton L Cushman Address Redacted Associated Federal Pilots And Docking Masters Of Louisiana PO Box 52852 Lafayette LA 70505 2852 Associated Federal Pilots and Docking Masters of Louisiana, LLC Attn: Greg Bush 1500 York St. Suite 204 Metairie LA 70001 Associated Marine Service, Inc PO Box 307 Groves TX 77619-0307 Association Of Average Adjusters 126 Midwood Ave Farmingdale NY 11735 AT&T PO Box 105503 Atlanta GA 30348-5503 AT&T Wireless PO Bo 8220 Aurora IL 60572-8220 Atlantic Cordage Corp 35 Mileed Way PO Box 30 Avenel NJ 07001-0030 Atwood, Ingrid Denise Address Redacted Aulen, Thomas Address Redacted Austin E McNulty Address Redacted Axeon Marketing 2338 N Loop 1604 West Suite 350 San Antonio TX 78248 Baker Tilly Virchow Krause, LLP Box 78975 Milwaukee WI 53278-8975 Banc Of America Leasing PO Box 100916 Atlanta GA 30384-0916 Banc of America Leasing & Capital, LLC Attn: Legal Dept. 125 Dupont Drive Providence RI 02907 Bank Of America PO Box 15731 Wilmington DE 19886-5731 Bank of America Attn: Legal Dept. 100 North Tryon Street Charlotte NC 28255 Bank of America NA Attn: Legal Dept. One Bryant Park New York NY 10036 Bank of America NA Successor by Merger to Fleet National Bank Attn: Legal Dept. 1185 Avenue of the Americas New York NY 10036 Barchus, Clifford B Address Redacted Barry L McDaniel Address Redacted Barzel Lock 199 Lee Ave Ste 388 Brooklyn NY 11211 Bay Area Emergency Physicians LLC PO Box 10919 Daytona Beach FL 321201-1919 Bay Area Pumps Inc 5115 N. MAIN ST. BAYTOWN TX 77521 Baycare Outpatient Imaging 2102 Trinity Oaks Blvd Trinity FL 34655-4409 Bay-Houston Towing Co c/o Christopher R. Hart, Attorney 5151 San Felipe St #400 Houston TX 77056 Bay-Houston Towing Co c/o Christopher R. Hart, Attorney 5151 San Felipe St #400 Houston TX 77056 Bay-Houston Towing Co. 2243 Milford Post Office Box 3006 Houston TX 77253-3006 Bay-Houston Towing Co. 2243 Milford Post Office Box 3006 Houston TX 7253-3006 Bay-Houston Towing Co. 2243 Milford Post Office Box 3006 Houston TX 7253-3006 Bay-Houston Towing Co. POBox 301243 Dallas TX 75303-1243 Bay-Houston Towing Co. c/o Holman Fenwick Willan USA LLP Attn: Christopher R. Hart 5151 San Felipe St #400 Houston TX 77056 Bayonne Lineboat Service PO Box 4001 Bayonne NJ 07002 Bayou Radiology, Inc. PO Box 6515 Metairie LA 700096515 Belle Chasse Marine Transp.Inc PO Box 10890 Jefferson LA 70181-0890 Belle Chasse Marine Transportation, LLC Gordon "Rob" Konrad PO Box 10890 JEFFERSON Louisiana 70181 Belle Chasse Marine Transportation, LLC Gordon Rob Konrad 5813 Citrus Harahan LA 70123 Benjamin T Hume Address Redacted Bennett, Wally O Address Redacted Berkley Professional Liability 757 Third Avenue 10th Floor New York NY 10017 Bert's Line Handling PO Box 2213 Mobile AL 36652 Best Bet Line Handlers 1800 East Navigation PO Box 4977 Corpus Christi TX 78469-4977 Beyond Green Air Services Inc 9100 Republic Airport Hanger 3 Farmingdale NY 11735 Bfg Marine Mfg. & Supply 200 Candlewood Road Bay Shore NY 11706-2217 BFG Marine, Inc. 200 Candlewood Rd. Bay Shore NY 11706 Biggs, Clayton Address Redacted Billybey Marina Services, LLC 2430 FDR Dr New York NY 10010 Billybey Marina Services, LLC Attn: Legal Dept. 325 Swedesboro Ave. Gibbstown NJ 08027 Billybey Marina Services, LLC Attn: Legal Dept. 4800 Ave at Port Imperial Weehawken NJ 07086-7142 Billybey Marina Services, LLC Donald J. Liloia 4800 Avenue at Port Imperial Weehawken NJ 07086 Bishop, Peter J Address Redacted Bizzuka, Inc. 105 Chapel Dr. Lafayette LA 70506 Blackberry Limited Attn: Legal Department 2200 University Avenue East Waterloo ON N2K 0A7 Canada Blake A Duet Address Redacted

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Bland & Partners LLC 1717 St James Pl Suite 360 Houston TX 77056 Bluewater Electric, LLC 500 North St. Patrick St. New Orleans LA 70119 Boaen Mechanical Service, Inc. PO Box 22054 Savannah GA 31403 Bodden, Tim Address Redacted Boland Marine & Industrial 1000 Tchoupitoulas St New Orleans LA 70130 Boland Marine & Industrial, LLC PO Box 53287 New Orleans LA 70153 Bollinger Algiers, L.L.C. 434 Powder Street New Orleans LA 70114 Bollinger Amelia Repair LLC Bollinger Algiers LLC 8365 Highway 308 Lockport LA 70374 Bollinger Shipyards Lockport, L.L.C. PO Box 11407 Dept 2371 Birmingham AL 35246-2371 Bone, Craig E Address Redacted Boris Benic & Associates LLP 500 Old Country Road Suite 311 Garden City NY 11530 Boston Line & Service Co. Inc. Ryan Cox 1 Black Flacon Ave Boston MA 02210 Boston Line & Service Co.,Inc. Black Falcon Cruise Term One Black Falcon Ave. Boston MA 02210 Reinauer Transportation Companies Boston Towing & Transportation Llc PO Box 846143 Boston MA 02284-6143 Boyd, Latravous L Address Redacted Bradley J Plomer Address Redacted Bradley, Jeffrey B Address Redacted Brandon Avery Address Redacted Brandon C Camenzuli Address Redacted BRIT 161 N. Clark Street Suite 3200 Chicago IL 60601 Brooks, Ben Address Redacted Broward County Port Everglades Department Attn: Marcia Hewitt-Brown 1850 Eller Dr. Fort Lauderdale FL 33316 Brown, Lambert Address Redacted Brown, Willie D Address Redacted Bryce Babson Address Redacted Buemi, Thomas A Address Redacted

Bureau Veritas Marine, Inc 1601 Sawgrass Corporate Pkwy #400 Sunrise FL 33323 Butler, James Address Redacted Cablevision Lightpath, Inc PO Box 360111 Pittsburg PA 15251-6111 Caddell Dry Dock & 1515 Richmond Terrace Staten Island NY 10310 Caddell Dry Dock and Repair Co., Inc. 1515 Richmond Terrace Staten Island NY 10310 Caddell Dry Dock And Repair Co., Inc. Foot of Broadway PO Box 327 Staten Island NY 10310

Caddell Dry Dock and Repair Co., Inc. c/o Law Offices of Simon Harter, Esq. Attn: Simon Harter 225 W. 34th Street - 9th Floor New York NY 10122 Caddell Shipyard 1515 Richmond Terrace Staten Island NY 10310 Calcote, Ronald Address Redacted Calgon Carbon Corporation Attn: Sandra L. Skvarca 3000 GSK Drive Moon Township PA 15108 California Secretary of State 1500 11th St. Sacramento CA 95814 California State Board of Equalization 450 N Street Mic:121 Sacramento CA 94279-0121 Canopius Insurance Company o/b/o Lloyd’s Syndicate 4444/1861 Attn: Legal Dept. 200 South Wacker Drive Suite 950 Chicago IL 60606 Canopius Insurance Services 140 Broadway Suite 2210 New York NY 10005 Canopius Insurance Services o/b/o Lloyd’s Syndicate 4444/1861 Attn: Legal Dept. Gallery 9 One Lime Street London EC3M 7HA United Kingdom Canopius Insurance Services on behalf of Lloyd’s Syndicates 4444/1861 140 Broadway Suite 2210 New York NY 10005 Carrier Corporation PO Box 93844 Chicago IL 93844 Cdw Direct, LLC Po Box 75723 Chicago IL 60675-5723 Attn: HQ Legal - B2B Contract Cellco Partnership Administration One Verizon Way Basking Ridge NJ 07920 CFGI, LLC Attn: Kevin P. Polansky One Financial Center, 35th Floor Boston MA 02111 Cfgi, LLC C/O M&T Lockbox 8000159 626 Commerce Drive Amherst NY 14228 c/o Nelson Mullins Riley & Attn: Lisa A. Herbert and Alan F. CFGI, LLC Scarborough LLP Kaufman 280 Park Avenue, 15th Floor West New York NY 10017 CFGI, LLC c/o M&T 626 Commerce Drive Lock Box 8000159 Amherst NY 14228 Chalos & Co, P.C. 55 Hamilton Avenue Oyster Bay NY 11771 Chalos & Co, P.C. 7210 Tickner Street Houston TX 77055 Charles Coe Address Redacted Charles Lewis Address Redacted Charles W Parson Address Redacted Charles Yarnell Address Redacted Charleston Branch Pilots' Association Attn: John Edward Cameron PO Box 179 Charleston SC 20402 Charleston Branch Pilot'S Association Attn: John Edward Cameron 6 Concord St. Charleston SC 29401

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 3 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 129 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Chaucer 38 & 39 Baggot Street Lower Dublin D02 T938 Ireland Christine DiCosta Address Redacted Christopher Bailey Address Redacted Christopher Glancy Address Redacted Christopher Kruse Address Redacted Christopher T Moore Address Redacted Christopher T Ressler Address Redacted Chubb Global Markets - Marine (A Trading Name Of Chubb European Group SE) 100 Leadenhall Street London EC3A 3BP United Kingdom Chubb Global Markets – Marine A (a trading name of Chubb European Group SE) Attn: Legal Dept. La Tour Carpe Diem 31 Place des Corolles Esplanade Nord Courbevoie 92400 France Chuck Ertle Address Redacted Church, Adam C Address Redacted Cisco Webex, LLC Accounts Payable Po Box #696024 San Antonio TX 78269 Citgo Petroleum Corp Attn: Jeana Callejo-Guerra PO Box 4689 Houston TX 77210-4689 Citgo Petroleum Corporation Dept. 510 Tulsa OK 74182-0001 Citrix Systems Inc. 851 W. Cypress Creek Rd. Fort Lauderdale FL 33309 City of Lafayette PO Box 4024 Lafayette LA 70502 City Of St. Petersburg Central Cashiers PO Box 2842 Saint Petersburg FL 33731 Clean Water Of New York, Inc. 3249 Richmond Terrace PO Box 030312 Staten Island NY 10303-0312 Client Letter of Agreement 622 3rd Avenue New York NY 10017 Cliff Murray Address Redacted Clyde & Co. US LLP Attn: Legal Dept. The Chrysler Building 405 Lexington Ave. New York NY 10174 Coast Cardiovascular 1720A Medical Park Drive Suite 340 Biloxi MS 39532-2127 Coast Line Service, Inc Black Falcon Cruise Terminal One Black Falcon Avenue Boston MA 02210 Colby Service & Supply 267 Hord Street New Orleans LA 70123 Collin Capen Address Redacted Colonial Terminals, Inc. Accts Rec 101 North Lathrop Avenue Savannah GA 31415 Commissioner of Taxation And Finance NY State Tax Dept PO Box 1833 Albany NY 12201-1833 Comp Today PO Box 27887 Salt Lake City UT 84127 Comptroller of Maryland Revenue Admin. Division 110 Carroll Street Annapolis MD 21411-0001 Concepcion, Fabio S. Address Redacted conEdison PO Box 138 New York NY 10276-0138 Connecticut Departmnet of Revenue Services 450 Columbus Blvd. Suite 1 Hartford CT 06103 Consolidated Edison Attn: Legal Dept. 4 Irving Place RM 1875 New York NY 10003 Consolidated Edison Company O Jaf Station PO Box 1702 New York NY 10116-1702 Cooper, Kervin D Address Redacted Cooper/T. Smith Mooring Co. Inc. Attn: Legal Dept. 1240 Patterson St. New Orleans LA 70114 Corey T Brown Address Redacted Corporate Filings LLC 30 N Gould Street Ste 7000 Sheridan WY 82801 Corporate Housing Experts LLC PO Box 98207 Jackson MS 39298-8207 Corso III, Charles J Address Redacted Crescent Ship Service. Inc. PO Box 148 Arabi LA 70032 Crescent Towing & Salvage 1240 Patterson Dr New Orleans LA 70114 Crescent Towing & Salvage Co. Inc. Attn: Legal Dept. 1240 Patterson St. New Orleans LA 70114 CRG Financial LLC (As Assignee of Murphy, Rogers, Sloss, Gambel, & Tompkins) Attn: Shannon Kalb 100 Union Avenue Creskill NJ 07626 CRG Financial LLC (As Assignee of Owen Petersen & Company) Attn: Shannon Kalb 100 Union Avenue Creskill NJ 07626 Culligan PO Box 5277 Carol Stream IL 60197-5277 Cummings, Dominique J Address Redacted Cummings, Eugene Address Redacted Cummings, Jhonatham J Address Redacted Custom Fuel Services PO Box 198934 Atlanta GA 30384 8934 Cylance 400 Spectrum Center Drive Suite 900 Irvine CA 92618 Dale, Emerett D Address Redacted Daniel G Redmond Address Redacted Daniel T Grubb Address Redacted Danielle M Bouchard Address Redacted Danny Denbow Address Redacted Danny W. Allen Connor Address Redacted David A Atkins Address Redacted David A Rodriguez Address Redacted David A Valeo Address Redacted David Kevin Bragdon Address Redacted

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country David M Sarli Address Redacted David T Driscoll Address Redacted David W Goodwin III Address Redacted Davis, Kelvin L Address Redacted Davis, Robert T Address Redacted DCL Mooring & Rigging PO Box 844552 Dept #120 Boston MA 02284-4552 DCL Mooring & Rigging a Division of Dreyfus-Cortney Inc. Attn: Legal Dept. 4400 North Galvez Street New Orleans LA 70117 Degirolamo, Mary Address Redacted Delaware City Refining Company LLC PO Box 823666 Philadelpia PA 19182 3666 Delaware City Refining Company LLC c/o PBF Holding Company, LLC Attn: Joseph Marino 1 Sylvan Way 2nd Floor Parsippany NJ 07054 Delfo, Bryan Address Redacted Delta Launch Services LLC Attn: Legal Dept. 3813 N. Causeway Blvd. Suite 100 PO Box 8563 Metairie LA 70002 Delta Launch Services, LLC 3813 N.Causeway Blvd Suite 300 PO Box 8563 Metairie LA 70011 Delvalle, Frank Address Redacted Department of Natural Resources Office of Conservation PO Box 44277 Baton Rouge LA 70804-4277 Dileo, Joseph M Address Redacted Dillon, Jack B Address Redacted DMCG Solutions, LLC 3348 Peachtree Road NE Tower Place 200 Suite 700 Atlanta GA 30326 Dnv Gl Usa, Inc. PO Box 74008808 Chicago IL 60674-8808 Donald J. Welch Address Redacted Donald Love Address Redacted Donjon Marine Co., Inc. 100 Central Ave Hillside NJ 07205 Donjon-Smit, LLC 15402 Vantage Parkway East Suite 316 Houston TX 77032-1966 Donohue, Michael Address Redacted Donovan Marine Inc. Dept At 952532 Atlanta GA 31192-2532 Donovan Marine, Inc James A. Dicks 6316 Humphreys St. Harahan LA 70123 Doug Belden, Tax Collector Hillsborough County Tax Collector PO Box 30009 Tampa FL 33630-3009 Duet, Dean J Address Redacted Dufour, Laskay & Strouse, Inc 3939 N. Causeway Blvd SUITE 300 Metairie LA 70002 Dylan A Noonan Address Redacted Dylan T Shorty Address Redacted Dynamic Air Conditioning Co. Inc. 25-70 Ulmer St 2nd Floor Flushing NY 11354 Dynamic Air Conditioning Company, Inc. Attn: Jeff Antonoff 25-70 Ulmer Street 2nd Floor Flushing NY 11354 E.N. Bisso & Son Inc. 1 Walnut Street New Orleans LA 70018 E.N. Bisso & Son., Inc 1 Walnut St New Orleans LA 70118 E.N. Bisso & Son., Inc 1 Walnut St New Orleans LA 70118 E.N. Bisso & Son., Inc 1 Walnut St New Orleans LA 70118 Eagle Ocean Agencies, Inc. 1 Battery Park Plaza New York NY 10004 Eagle Ocean Agencies, Inc. Attn: Legal Dept. One Battery Park Plaza 31st Floor New York NY 10004 Eagle Ocean Agencies, Inc.-100% Stratford Insurance Co 1 Battery Park Plaza New York NY 10004 Earl, Samuel L Address Redacted Earnest R. Spivey Address Redacted Ebi Cranes, LLC 124 Finish Line Lane Houma LA 70360 Edward A. Richardson Jr. PO Box 374 Andrew SC 29429 Edward G Smith Address Redacted Edward J Sloyan Address Redacted Elmo Benedith Address Redacted Elvis Ngande Address Redacted Emilee P Samtani Address Redacted Emily Escheveria Address Redacted Employment Publishing 175 Strafford Ave Suite 1 Wayne PA 19087 Endurance Worldwide Insurance Ltd Attn: Legal Dept. 1st Floor 2 Minster Court Mincing Lane London EC3R 7BB United Kingdom Equinix 4252 Solutions Center Chicago IL 60677-4002 Eric Fels Address Redacted Eric Hannan 9412 New York Ave #374 Hudson FL 34667 c/o Feldman, Kleidman, Coffey, Eric Hannan Sappe & Regenbaum, L.L.P. Attn: Robert T. Sappe 995 Main Street PO Box A Fishkill NY 12524 Eric Hinman Address Redacted Eric J Kennedy Address Redacted Eric Wollschlager Address Redacted Erik M. MacMillan Address Redacted Ernest Alexander PO Box 43407 Jacksonville FL 32203

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 5 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 131 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Evans, Boe A. Address Redacted ExxonMobil Credit Card Center PO Box 6404 Sioux Falls SD 57117-6404 Exxonmobil Oil Corporation Credit Card Center PO Box 6404 Sioux Falls SD 57117-6404 Fall River-New Bedford Region PO Box 847916 Boston MA 02284-7916 Fam Marine Services, Inc Attn: Konstantinos Papageorgiou 6601 Springer St Houston TX 77087 Fastenal Company Po Box 1286 Winona MN 55987-1286 Federal Aviation Administration 6425 South Denning Oklahoma City OK 73169-6937 Federal Insurance Company 202B Halls Mill Road Whitehouse Station NJ 08889-1600 Federal Marine Terminals, Inc. c/o Bank Of America PO Box 402625 Atlanta GA 30384-2625 Fedex PO Box 223125 Pittsburgh PA 15251-2125 Fidelis Underwriting Limited 122 Leadenhall Street 34th Floor London EC3V 4AB United Kingdom Fidelity Investments 100 Crosby Parkway KC1H Covington KY 41015 Fidelity Investments Institutional Operations Company, Inc. PO Box 73307 Chicago IL 60673-7307 Fire Protection Service, Inc. PO Box 5218 Houston TX 77262-5218 Flag Service & Maintenance Inc. Attn: Legal Dept. 325 Swedesboro Ave. Gibbstown NJ 08027 Flag Service & Maintenance Inc. Attn: Legal Dept. PO Box 159 Mickleton NJ 08056 Flagship Management, LLC 21 Se 5Th Avenue Suite B Delray Beach FL 33483 Flagship Management, LLC Attn: Jack Mylott 21 SE 5th Ave Ste A Delray Beach FL 33483 Fleet National Bank Attn: Legal Dept. 1185 Avenue of the Americas New York NY 10036 Fleet National Bank NA Attn: Legal Dept. 300 Broad Hollow Rd Melville NY 11747-4852 Florida Secretary of State Clifton Building 2661 Executive Center Circle Tallahassee FL 32301 FM Systems, Inc. 13322 Centreville St Ozone Park NY 11417-2642 Forbes, Billy A Address Redacted Force Power PO Box 54942 New Orleans LA 70154 Force Power Systems LLC Attn: Legal Dept. 1983 B. Grand Caillou Road Homa LA 70363 Foret, Neal A Address Redacted Forlizzi, Jonathan Address Redacted Fortress Credit Co LLC c/o Fortress Investment Group LLC Attn: Constantine M. Dakolias 1345 Avenue of the Americas 45th Floor New York NY 10105 Fortress Credit Co LLC c/o Fortress Investment Group LLC Attn: Credit Operations 1345 Avenue of the Americas 45th Floor New York NY 10105 Fortress Credit Co LLC c/o Milbank LLP Attn: Benjamin M. Schak 55 Hudson Yards New York NY 10001 Fortress Credit Co LLC c/o Milbank LLP Attn: Tyson M. Lomazow 55 Hudson Yards New York NY 10001 Fourchon Launch Services, LLC 11 Norman Doucet Dr #300 Golden Meadow LA 70357 FPS-New Orleans PO Box 5218 Houston TX 77262 Frank Robinson 1169 Old Union Road Hilham TN 38568 Frank Robinson Address Redacted Frank Vance Robinson IV Address Redacted Franklin O Bodden Address Redacted Freeman, Barry Address Redacted Fulcher, Johnathan Address Redacted G.E. Warren 3001 Ocean Drive Suite 203 Vero Beach FL 32963 Galjour, Paul A. Address Redacted Gallagher Marine Systems 305 Harper Drive Moorestown NJ 08057 Galveston Texas City Pilots Attn: Legal Dept. 1301 Pennzoil Rd. Galveston TX 77554 Galveston Wharves Treasurer PO Box 328 Galveston TX 77553 Garrett M Stryzs Address Redacted Gator Supply Co., Inc. Attn: John A. Rojas 2236 Blvd Harvey LA 70058 Genaro Sarno Address Redacted Gene A Hudgins Address Redacted General Marine Electric LLC 66 Broadway Staten Island NY 10310 Georgia Department of Revenue PO Box 740321 Atlanta GA 30374-0321 Ghanie, Alim Address Redacted Gibbons, William W Address Redacted GKG Law, P.C. Attn: Brendan Collins 1055 Thomas Jefferson St. NW Suite 500 The Foundry Building Washington DC 20007 Glencore, Ltd. 330 Madison Ave New York NY 10017 Glenn N Anderson Address Redacted Global Companies LLC 800 South Street Suite 200 Waltham MA 02453 Gordon G. Armstrong PO Box 1464 Mobile AL 36633 Govoni, Peter F Address Redacted Graham-White Manufacturing Company, Inc. 1242 Colorado Street Po Box 1099 Salem VA 24153 Great Lakes Power Service 7455 Tyler Blvd Mentor OH 44060 Greater Baton Rouge Port Comm PO Box 380 Port Allen LA 70767-0380 Greater New Bedford Physical Therapy 2834 Acushnet Ave New Bedford MA 02745 Green Grass Guy, Inc 9 Ruth Street Huntington NY 11743 Greenwich Terminals Po Box 416 Glouchester City NJ 08030

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Greenwich Terminals, LLC c/o Dilworth Paxson LLP Attn: Peter C. Hughes 1500 Market Street Suite 3500E Philadelphia PA 19102 Greg M Massaro Address Redacted Gregory Brown Address Redacted Gregory Spencer Address Redacted Griffin D LeBlanc Address Redacted Guerriero, James Address Redacted Gulf Copper & Manufacturing Corp. Po Box 4979 Msc#400 Houston TX 77210 Gulf Marine Repair 5501 Jefferson Hwy Suite 116 New Orleans LA 70123 Gulf Marine Repair Corp. 1200 Sertoma Drive Tampa FL 33605 Gulf Marine Repair Corporation 1800 Grant Street Tampa FL 33605 Gulfstream Aerospace Corp. PO Box 730349 Dallas TX 75373-0349 Gulfstream Aerospace Corporation PO Box 730349 Dallas TX 75373-0349 H &H Marine Services, Inc 20 Brampton Road Garden City GA 31408 Hall, Lynn M Address Redacted Harbor Lines, LLC Po Box 2151 Wilmington NC 28402 Harris County, et al PO Box 3547 Houston TX 77253-3547 c/o Linebarger Goggan Blair & Harris County, et al Sampson, LLP PO Box 3064 Houston TX 77253-3064 Harris County, et al. PO Box 3547 Houston TX 77253-3547 Harris County, TX 1001 Preston St. Houston TX 77002 Harris, Christopher John Address Redacted Harry Guy Address Redacted Hart Fueling Services PO Box 9 NEWTOWN SQUARE PA 19073 Hartree Partners LP 1185 Avenue Of The Americas New York NY 10036 Helvetia Zürichstrasse 130 8600 Dübendorf Zurich Switzerland

Helvetia Marine Services o/b/o Helvetia Assurance SA Attn: Legal Dept. 7th Floor Minster Court Mincing Lane London EC3R 7AA United Kingdom Hendricks, Harvey Address Redacted Henry Kiera Smith Address Redacted Henson, Robert C Address Redacted Hicks, Roland L Address Redacted Hobe Sound Golf Club 11671 SE Plandome Drive Hobe Sound FL 33455 Honeywell 1944 East Sky Harbor Circle Phoenix AZ 85034 Honeywell 300 South Tryon Street Charlotte NC 28202 Honeywell PO Box 93078 CHICAGO IL 60673-3078 Hooks, Ronald P Address Redacted Houston Casualty Company, Houston, U.S.A. 13403 Northwest Freeway Houston TX 077040 Houston Mooring Company PO Box 9382 Houston TX 77261-9382 Houston NFL Holdings, L.P. NRG Stadium Two NRG Park Houston TX 77054 Houston Pilots 203 Deerwood Glen Dr Deer Park TX 77536 Hugo Coppiaroli Address Redacted Hussey, Brennan Address Redacted Hutchison, Brent D Address Redacted Hyde Marine Calgon Carbon Uv Technologies LLC 3000 Gsk Drive Moon Twp PA 15108 Hydra Force LLC 1910 Engineers Rd Belle Chasse LA 70037 Hydradyne Hydaulics, LLC Po Box 974799 Dallas TX 75397-4799 IAN CONRAD BERGAN,INC 3119 N. Davis Hgwy Pensacola FL 32503 Ian-Conrad Bergan, Inc. 1001 East Belmont St Pensacola FL 32501 Idaho State Tax Commision Collection Division PO Box 36 Boise ID 83722-0410 Illinois Secretary of State 213 State Capitol Springfield IL 62756 Independent Consulting Agreement 326 E Livingston Pl Metrairie LA 70005 Independent Consulting Agreement 9581 SE 173rd Place Summerfield FL 34491 Independent Docking Pilots,Inc 4304 Kecoughtan Rd Hampton VA 23669 Independent Testing And Consul PO Box 539 Holmdel NJ 07733 Indiana Department of Revenue 100 N. Senate Ave Indianapolis IN 46204 Inphynet Contracting SRV PO Box 634702 Cincinnati OH 45263-4702 Instruments & Controls, Inc. 271 East Green Street Westminster MD 21157 Insured Aircraft Title Service, Inc. Attn: Joan Roberts 21 E. Main St. Oklahoma City OK 73104 Intercontinental Engineering- Manufacturing Corporation Attn: Jacob P. Kendrick PO Box 9055 Kansas City MO 64168 Intergulf Marine Cynthia Velasquez 428 Hwy 146 S La Porte TX 77571 Intergulf Marine LLC Cynthia Velasquez HOU1016 PO Box 650998 Dallas TX 75265-0998 Intergulf Marine, LLC Hou1016 PO Box 650998 Dallas TX 75265-0998 Intergulf Marine, LLC Attn: Racqueshia Merriett 428 Hwy 146 S La Porte TX 77571 Internal Revenue Service 2283 3rd Ave New York NY 10035

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Internal Revenue Service PO Box 37008 Hartford CT 06176-7008 International Matex Tank Terminals LLC P O Box 932142 Atlanta GA 31193-2142 International Ship Repair c/o Vaughan & Ramsey, PLLC Attn: Daena G. Ramsey PO Box 201366 Arlington TX 76006-1366 International Ship Repair and Marine Services, Inc. c/o Parrish Law, P.A. Attn: Paul Parrish 1290 Hwy A1A Suite 101 Satellite Beach FL 32937 Iron Mountain Inc. Cust Id# Lh417 Po Box 27128 New York NY 10087-7128 J.A.M. Marine Services, LLC 7660 Liberty Ave Huntington Beach CA 92647 Jacob Delcambre Address Redacted Jamason F Foster Address Redacted James Butler Address Redacted James D Baird Address Redacted James D Sloan Address Redacted James E Horton Address Redacted James Egan Address Redacted James Horton Address Redacted James L Foster Address Redacted James M Butler Address Redacted Jamie Raul Address Redacted Janice M Aitken-Mongello Address Redacted Jared J Storer Address Redacted Jason R McGregor Address Redacted Jefferies 520 Madison Ave New York NY 10022 Jeffery Nichols Address Redacted Jeffery O'Leary Address Redacted Jeffrey C Allen Address Redacted Jeffrey E. Winter Address Redacted Jeffrey K Hauser Address Redacted Jessica M Weeks Address Redacted Jester Castro Address Redacted John D Nelson Address Redacted John F Maclelland Address Redacted John H Archard Address Redacted John H Fairbanks, MD 107 Front St Suite 230 Vidalia LA 71373 John I Anderson Address Redacted John Lindahl Address Redacted John M Driscoll Address Redacted John M. Badke Address Redacted John W Stone Oil Distributor Attn: Legal Dept. 1601 Belle Chasse Hwy Ste 300 PO Box 2010 Gretna LA 70054 John W. Stone Oil Distributor LLC 1601 Belle Chasse Highway Suite 300 Gretna LA 70056 Johnson, Jamaal Address Redacted Johnston, Bradley J Address Redacted Jonathan Chuckran Address Redacted Jonathan M Gonzalez Address Redacted Jordan E Berges Address Redacted Jordan, Malcolm D Address Redacted Joseph Bosch Jr Address Redacted Joseph C Lowery Address Redacted Joseph Gauta Address Redacted Joseph I Gauta Address Redacted Joseph P. Bosch Jr. Address Redacted JPMorgan Chase Bank Attn: Legal Dept. 395 N. Service Rd. Melville NY 11747 K&L Gates, LLP State Street Financial Center One Lincoln Street Boston MA 02111-2950 Kalai E Robledo Address Redacted Karl Senner, INC Karl Senner, LLC Attn: Stephen Valdes 25 W. 3rd St. Kenner LA 70062 Kate Primeaux Address Redacted Kauff Mcguire & Margolis LLP 950 Third Avenue New York NY 10022 Keith D Gustafsson Address Redacted Keith R Reiners Address Redacted Keith W Faulkner Address Redacted Kelly Haynie Address Redacted Kelly, Bradford J Address Redacted Kennedy Engine Co., Inc. 980 Motsie Road Biloxi MS 39532 Kennedy Marine Inc 10220 Three River Road Gulfport MS 39503 Kenneth Carlino Address Redacted Kenneth J Delaune Address Redacted Kentucky Department of Revenue 501 High Street Frankfort KY 40601

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Kimberly LaGuardia Address Redacted Kinder Morgan PO Box 734027 Dallas TX 75373-4027 King & Jurgens 201 St Charles Ave 45th Floor New Orleans LA 70170 King & Jurgens 6363 Woodway Drive Suite 820 Houston TX 77057 King, Maura Address Redacted Kirkland & Ellis 300 N Lasalle Chicago IL 60654 Kirkland, John Address Redacted Kittiwake Americas 4651 Woodstock Road Atlanta GA 30075 Kongsberg Maritime Inc 5373 West Sam Houston Parkway N. Suite 200 Houston TX 77041 Konica Minolta Business Solutions Usa Inc Dept At 952823 Atlanta GA 31192-2823 Konica Minolta Premier Finance PO Box 790448 St. Louis MO 63179-0448 Konner Thomas Arnaud Address Redacted Kozusko Harris Duncan 575 Madison Avenue, 24th Floor New York NY 10022 La Femina, Mary F. Address Redacted Lady Of The Sea Hospital & Clinics PO Box 14000 Belfast ME 04915-4033 Lafayette Parish Tax Collector 1010 Lafayette St. Lafayette LA 70501 Lafayette Parish Tax Collector PO Box 92590 Lafayette LA 70509-2590 Laird, James Address Redacted Lake Charles Pilots, Inc. 4902 Ihles Road Lake Charles LA 70605 Lapierre, Christopher Address Redacted Lapierre, Darren S Address Redacted Larson, Micheal Address Redacted Latham, Karl Address Redacted Lau, Lane, Pieper, Conley & Mccreadie, P.A. Attn: David W. McCreadie 100 South Ashley Drive St 1700 Tampa FL 33602 Laurel Shipping 58 Commerce Rd Stamford CT 06902 Lawrence Bronhard Address Redacted Lawrence H Malanga Address Redacted Leblanc Jr., Alfred C Address Redacted Leland D Cannon Address Redacted Lemoine'S Marine Refrigeration PO Box 1028 2236 Arlington Ave. Harvey LA 70059 Lemon, Zellard Address Redacted Leroy Alexander III Address Redacted Levatino Jr, Roger D Address Redacted Lewis, Douglas J Address Redacted Lex A. Surcedo Connor Address Redacted Liberty Mutual Insurance Company Attn: Legal Dept. 175 Berkeley Street Boston MA 02116 Liberty Mutual Insurance Company Collections 02A PO Box 85844 San Diego CA 92486 Lighthouse Shipping Agency, Inc. PO Box 8240 Lumberton TX 77657 Lloyd Staffing Corporation 445 Broadhollow Road Suite 119 Melville NY 11747 Lloyd’s Syndicate 1084, pseudonym CSL (Chaucer) Attn: Legal Dept. 30 Fenchurch Street London EC3M 3AD United Kingdom Lloyd’s Syndicate 2001, pseudonym AML Attn: Legal Dept. St. Helen’s 1 Undershaft London EC3A 8ND United Kingdom Lloyd’s Syndicate 2987, pseudonym BRIT Attn: Legal Dept. 1350 Broadway Suite 1711 New York NY 10018 Lloyd’s Syndicate 3000, pseudonym MKL (Markel) Attn: Legal Dept. 4521 Highwoods Parkway Glen Allen VA 23060 Lloyd's Syndicate 1084, pseudonym CSL 38 & 39 Baggot Street Lower Dublin D02 T938 Ireland Lloyd's Syndicate 1225, pseudonym AES Attn: Legal Dept 1 Meadowlands Plaza East Rutherford NJ 07073 Lloyd's Syndicate 1618, pseudonym KII 122 Leadenhall Street London EC3A 3BP United Kingdom Lloyd's Syndicate 2001, pseudonym AML 122 Leadenhall Street London EC3V 4AG United Kingdom Lloyd's Syndicate 2001, pseudonym AML (MS Amlin) Attn: Legal Dept. 15 Independence Blvd Warren NJ 07059-2721 Lloyds Syndicate 2987, pseudonym BRIT through Willis Limited 161 N. Clark Street Suite 3200 Chicago IL 60601 Lloyd's Syndicate 2987, pseudonym BRT 122 Leadenhall Street London EC3A 3BP United Kingdom Lloyd's Syndicate 3000, pseudonym MKL 20 Fenchurch Street London EC3M 3AZ United Kingdom Lloyd's Syndicate 5151, pseudonym ENH (Sompo) Attn: Legal Dept. 1221 Avenue of the Americas Floor 18 New York NY 10017 London Offshore Consultants Inc 16800 Imperial Valley Drive Suite 280 Houston TX 77060 Lonnie Dean Address Redacted Lonnie Roberts 907 Hillery Cove Cedar Park TX 78613 Lonnie Roberts Attn: Jason Itkin 6009 Memorial Drive Houston TX 77007 Louis D Castille Address Redacted Louisiana Department of Revenue 617 N 3rd St Baton Rouge LA 70802 Louisiana Department of Revenue c/o Bankruptcy Section PO Box 66658 Baton Rouge LA 70896 Louisiana Dept. of Revenue 617 North Third Street Baton Rouge LA 70802 Louisiana Machinery Company, LLC, d/b/a Resource Power Group Attn: Cory Calcagno 3799 W Airline Highway Reserve LA 70084 Louisiana Secretary of State 8585 Archives Ave Baton Rouge LA 70809 Louisiana Tax Commission PO Box 66788 Baton Rouge LA 70896

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Lowe, Michael E Address Redacted Lufkin Industries, LLC P O Box301199 Dallas TX 75303-1199 Lugenbuhl, Wheaton, Peck, Rankin & Hubbard 601 Poydras St New Orleans LA 70130 Luis Bell Gordon Address Redacted Luke F Whipple Address Redacted Lutarus Jackson Address Redacted Lyon's Shipyard Foot Of Brown Ave PO Box 2180 Norfolk VA 23501 M.G. Auto Center, Inc. 150 Clove Road Staten Island NY 10310 Magill, Robert Address Redacted Mahoney & Keane, LLP 40 Worth St. 10th Floor New York NY 11937 Maine Revenue Services PO Box 9107 Augusta ME 04332-9107 Malcolm Locke Address Redacted Manning Electric 154 27Th Street Brooklyn NY 11232 Manning Electric Inc. Attn: Jennifer Manning 154 27th Street Brooklyn NY 11232 Marine Chemists Inc. Of Texas PO Box 12477 Beaumont TX 77726 Marine Chemists Of Galveston, LLC Jeff Zile, Marine Chemist PO Box 16674 Galveston TX 77552-6674 Marine Chemists of Galveston, LLC Jeff Zile PO Box 16674 Galveston Texas 77552-6674 Marine Chemists Of Louisiana, L.L.C. PO Box 9064 Bridge City LA 70096 Marine Engines Inc 31 Pope Road Holliston MA 01746 Marine Linehandlers, Inc. Dba Charleston Port Services Co. PO Box 21753 Charleston SC 29413 Marine Preservation Assoc. 5415 E. High Street, Suite 111 Phoenix AZ 85054 Marine Underwriting Department c/o Crum & Forster 101 Hudson Street, 32nd Floor Jersey City NJ 07302 Maritime Technical International, Inc 100 First Stamford Place 6th Floor Stamford CT 06902 Maritime Training Services Inc. 1900 West Nickerson St. Suite 205 Seattle WA 98119 Mark Franz Address Redacted Markel 20 Fenchurch Street London EC3M 3AZ United Kingdom Markel International Ins. Co. Ltd. 20 Fenchurch Street London EC3M 3AZ United Kingdom Markel International Insurance Co. c/o Frilot LLC Attn: Patrick J. McShane 1100 Poydras Street Suite 3800 New Orleans LA 70163-3600 3327 Sam Houston Parkway E Suite Marlink 100 Houston TX 77047 Martin A Viera Address Redacted Martin Energy Services LLC PO Box 95363 Grapevine TX 76099-9733 Martin Energy Services LLC Attn: Legal Dept. Three Riverway Suite 400 Houston TX 77056 Martin F Olsson Address Redacted Martin Midstream Fourchon Attn: Legal Dept 4200 B. Stone Rd Suite 400 Kilgore TX 75662 Martin Operating Partnership Attn: Legal Dept 4200 B. Stone Rd Suite 400 Kilgore TX 75662 Martin Ottaway 620 Shrewsbury Avenue Tinton Falls NJ 07701 Mass. General Physicians Organization, Inc. PO Box 9142 Charlestown MA 02129-9142 Massachusetts Department of Revenue 100 Cambridge Street Boston MA 02114 Matthew M Nordberg Address Redacted Matthew R McDaniels Address Redacted Matthew T Sloan Address Redacted Maxime N Jean-Paul Address Redacted Mcallister Towing & Transportation Buckley Mcallister 17 Battery Place, Suite 1200 New York NY 10004 McAllister Towing & Transportation, Inc. c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 McAllister Towing of Baltimore 17 Battery Place Suite 1200 New York NY 10004 McAllister Towing of Baltimore, Inc. Attn: Legal Dept. 1201 A Wallace St. Baltimore MD 21230 McAllister Towing of Baltimore, Inc. c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 McAllister Towing of Charleston 17 Battery Place Suite 1200 New York NY 10004 McAllister Towing of Charleston, Inc. Attn: Legal Dept. 1031 Pierside St North Charleston SC 29405-2402 McAllister Towing of Charleston, Inc. c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 Mcallister Towing Of Connecticut 17 Battery Place, Suite 1200 New York NY 10004 McAllister Towing of Connecticut, LLC Attn: Legal Dept. 1 Ferry Access Road Bridgeport CT 06604 McAllister Towing of Connecticut, LLC c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 McAllister Towing of Narragansett Bay, LLC d/b/a Providence Steamboat Company c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 Mcallister Towing of New York 17 Battery Place Suite 1200 New York NY 10004 McAllister Towing of New York, LLC Attn: Legal Dept. 3165 Richmond Terrace Staten Island NY 10303 McAllister Towing of New York, LLC c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 Mcallister Towing of Philadelphia Inc. 17 Battery Place Suite 1200 New York NY 10004 McAllister Towing of Philadelphia, Inc. Attn: Legal Dept. 2604 Penrose Ferry Rd Philadelphia PA 19145 McAllister Towing of Philadelphia, Inc. c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 Mcallister Towing of Port Everglades 17 Battery Place Suite 1200 New York NY 10004 McAllister Towing of Port Everglades Attn: Legal Dept. 2110 Eller Dr. Fort Lauderdale FL 33316

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country McAllister Towing of Port Everglades d/b/a Tugz Company, LLC c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 Mcallister Towing of Virginia Inc. 17 Battery Place Suite 1200 New York NY 10004 McAllister Towing of Virginia, Inc. Attn: Legal Dept. 914A Pearl Street Norfolk VA 23523 McAllister Towing of Virginia, Inc. c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 Mcallister Towing of Wilmington Inc. 17 Battery Place Suite 1200 New York NY 10004 McAllister Towing of Wilmington, Inc. Attn: Legal Dept. 262 Battleship Rd. Wilmington NC 28401 McAllister Towing of Wilmington, Inc. c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 McAllister, Patrick R Address Redacted McArthur, Ronnie Address Redacted McCauley, Charles W Address Redacted McGlinchey Stafford LLP 301 Main Street Suite 1400 Baton Rouge LA 70801 Med Solution International 57 West 57th Street 4th Floor New York NY 10019 Medaire, Inc. 4722 N. 24Th Street Suite 450 Phoenix AZ 85016 Medalist Golf Club 9908 Se Cottage Lane Hobe Sound FL 33455 Mendoune, Wade F Address Redacted Mercuria Energy Trading Inc 33 Benedict Place Greenwich CT 06830 Metrolube 229 Arlington Ave Staten Island NY 10303 Metroplex Energy, Inc 3225 Cumberland Blvd Suite 100 Atlanta GA 30339 Metropolitan Marine Transportation 2411 Richmond Road Staten Island NY 10306 Michael A Figueroa Address Redacted Michael Bombara Address Redacted Michael Dedrick Address Redacted Michael E. Unger 80 Pine Street New York NY 10005-1759 Michael G Brennan Address Redacted Michael Hughes Pruchnik Address Redacted Michael Kaiser Address Redacted Michael Krebs Address Redacted Michael Pryor Address Redacted Michael R Campbell Address Redacted Michael S Geller Address Redacted Michael Shea Address Redacted Michael T Smaldone Address Redacted Michael W Pryor Address Redacted Michele Pisani Address Redacted Michelle Otero Valdes Address Redacted MICHELLER AND SON HYDRAULICS, INC 534-540 W. First Avenue Roselle NJ 07203-1087 Mike Tregre Sheriff & Ex Officio Tax Collector PO Box 1600 Laplace LA 70069 Milbank 55 Hudson Yards New York NY 10001 Miller, Rodney Address Redacted Mississippi Department of Revenue 500 Clinton Center Drive Clinton MS 39056 Mitchell Lott Address Redacted Mitchum Docking LLC 613 Woodspring Road Mt.Pleasant SC 29466 Mitsui Sumitomo Insurance U.S.A., Inc 560 Lexington Avenue 20th Floor New York NY 10022 Mitsui Sumitomo Insurance U.S.A., Inc. Attn: Legal Dept. PO Box 4602 Warren NJ 07059-0602 Mmc International Corp. Attn: Maureen Egar 60 Inip Dr Inwood NY 11096 Mobile Bar Pilots L.L.C. 201 N Jackson St Mobile AL 36603 Monjarres-Kerr, Daniel Address Redacted Moran New York/ New Jersey Bank of America PO Box 409519 Atlanta GA 30384-9519 Moran Shipping Agencies, Inc. 106 Francis St Providence RI 02903 1117 Mormax Company, Inc. 150 Macquesten Pkwy,N. Mt. Vernon NY 10550 Morrison Cohen, LLP 909 3rd Ave New York NY 10022 Mortgagees Interest Policy One World Financial Center 200 Liberty Street New York NY 10281 Morton Plant Hospital 300 Pinellas St Clearwater FL 33756-3804 Morton S. Bouchard III c/o Foley & Lardner LLP Attn: Douglas E. Spelfogel 90 Park Avenue New York NY 10016 Morton S. Bouchard III c/o Foley & Lardner LLP Attn: Douglas E. Spelfogel 90 Park Avenue New York NY 10016 Morton S. Bouchard III and Linda Bouchard c/o Foley & Lardner Attn: Douglas E. Spelfogel 90 Park Avenue New York NY 10016 Morton S. Bouchard III and Linda Bouchard c/o Foley & Lardner LLP Attn: Douglas E. Spelfogel 90 Park Avenue New York NY 10016 Morton S. Bouchard III And Morton S. Bouchard III 2017 Family Trust 10520 S.E. Scrub Jay Lane Hobe Sound FL 33455 Morton S. Bouchard III Family Trust (Exempt Share) c/o Foley & Lardner LLP Attn: Douglas E. Spelfogel 90 Park Avenue New York NY 10016 Moxie Media PO Box 10203 New Orleans LA 70181 Ms Amlin 122 Leadenhall Street London EC3A 3BP United Kingdom MTS Power Systems, Inc. 1642 New Highway Farmingdale NY 11735 Multi Service Aviation PO Box 410435 Kansas City MO 64141-0435

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Munsell, Roy Address Redacted Murphy, Rogers, Sloss & Gambel One Shell Square 701 Poydras Street Suite 400 New Orleans LA 70139-7909 Murray Dustin J Address Redacted Murray, Darrin Address Redacted Nance International, Inc. 2915 Milam Beaumont TX 77701 National Fire & Marine Insurance National Fire & Marine Insurance Company Legal Department Company 1314 Douglas Street Suite 1400 Omaha NE 68102-1944 National Grid PO Box 11741 Newark NJ 07101 9839 National Grid Attn: Legal Dept. Acct. No.: XXXXX-X1803 25 Research Drive Westborough MA 01582 National Grid PLC 25 Research Drive Westborough MA 01582 National Insurance Brokerage of NY 175 Oval Drive Islandia NY 11749 National Maritime Services 1560 Sawgrass Coroprate Parkway Fourth Floor Fort Lauderdale FL 33323 National Vision Admin 1200 US-46 Clifton NJ 07013 National Vision Administrators, L.L.C. Attn: Finance Department 1200 Rt 46 West Clifton NJ 7013 Navigators One Penn Plaza 50th Floor New York NY 10119 Navigators Insurance Company 400 Atlantic Street 8th Floor Stamford CT 06901 Navigators Insurance Company Attn: Stanley Adam Galanksi 1 Penn Plaza Floor 32 New York NY 10119 Navigators Insurance Company c/o Hartford Fire PO Box 660916 Dallas TX 75266 Navigators Insurance Company Mike Ennis One Hartford Plaza Hartford CT 06155 Neimes, Michael W. Address Redacted Nelson, Aaron Address Redacted New Era Technology 2950 Express Drive South Suite 112 Central Islip NY 11749 Governor Hugh Gallen State Office New Hampshire Department of Revenue Admin. Park 109 Pleasant Street Concord NH 03301 New Jersey Division of Taxation Bankruptcy Section PO Box 245 Trenton NJ 08695-0245 New Jersey Division of Taxation Revenue Processing Center PO Box 666 Trenton NJ 08646-0666 New Jersey Treasury – Dept. of Taxation Division of Taxation PO Box 281 Trenton NJ 08695-0281 New York Athletic Club 180 Central Park South New York NY 10019-1562 New York Labor Law Poster Service 911 Central Ave. #260 Albany NY 12206-1392 New York Mets Citi Field 41 Seaver Way Queens NY 11368 New York State Corporation Tax PO BOX 4136 BINGHAMTON NY 13902-4136 New York State Dept. of Taxation and Finance Harriman Campus Rd. Albany NY 12226 New York State Dept. of Taxation And Finance Bankruptcy Section PO Box 5300 Albany NY 12205-0300 New York State Insurance Fund Worker's Compensation PO Box 5238 New York NY 10008-5238 Newsday PO Box 371870 Pittsburgh PA 15250-7870 Next Level Information Solutions 90 Reynolds Drive Lido Beach NY 11561 Nextlevel Information Solutions 91 Reynolds Drive Lido Beach NY 11561 Nicholas J Treon Address Redacted Nicholas M. Trivolis Address Redacted Nicholas Shafransky Address Redacted Nicole S Leonard Address Redacted North Carolina Dept. of The Secretary of State 2 S Salisbury St. Raleigh NC 27601 Northeastern Air Management Corp 65-07 Fresh Meadow Lane Fresh Meadows NY 11356 Northeastern Aviation Corp. 8200 Republic Airport Ste 8 Farmingdale NY 11735 Norton Lilly Intl One St. Louis Centre Suite 5000 Mobile AL 36602 Norwegian Hull Club 37-39 Lime Street London EC3M 7AY United Kingdom Norwegian Hull Club Attn: Hans Christian Seim Olav Kyrresgate 11 Bergen NO NO-5014 Norway Novum Energy 3200 Kirby Dr Suite 1000 Houston TX 77098 Novum Energy Trading, Inc. Attn: Chris Scott 3200 Kirby Drive Ste. 1000 Houston TX 77098 Novum Energy Trading, Inc. c/o Chris Scott 3200 Kirby Drive, Ste. 1000 Houston TX 77098 Novum Energy Trading, Inc. c/o Chris Scott 3200 Kirby Drive, Ste. 1000 Houston TX 77098 Novum Energy Trading, Inc. c/o Chris Scott 3200 Kirby Drive, Ste. 1000 Houston TX 77098 Novum Energy Trading, Inc. c/o Reed Smith LLP Attn: Christopher A. Lynch 599 Lexington Avenue 24th Floor New York NY 10022 Novum Energy Trading, Inc. c/o Reed Smith LLP Attn: Christopher A. Lynch 599 Lexington Avenue, 24th Floor New York NY 10022 Novum Energy Trading, Inc. c/o Reed Smith LLP Attn: Christopher A. Lynch 599 Lexington Avenue, 24th Floor New York NY 10022 NRE Power Systems Inc. Attn: Legal Dept. 5222 Highway 311 Houma LA 70360 Nugent, Wesley Address Redacted Nuznoff, Allen Address Redacted NYC Department Of Finance PO Box 5100 Kingston NY 12402-5100 NYC Dept Of Finance PO Box 3600 New York NY 10008-3600 NYS Assessment Rec. PO Box 4127 Binghamton NY 13902-4127 NYS Corporation Tax NYS Estimated Corporation Tax PO Box 4136 Binghamton NY 13902-4136 NYS Insurance Fund 199 Church St New York NY 10007 O'Brien, Edward Address Redacted OceanEering Attn: Legal Dept 11911 FM 529 Houston TX 77041

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Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Ochsner Clinic LLC PO Box 54851 New Orleans LA 70154 Ohio Department of Taxation PO Box 530 Columbus OH 43216-0530 c/o U.S. Coast Guard, National 2703 Martin Luther Oil Spill Liability Trust Fund Pollution Funds Center Attn: Henry Luis Font III US Coast Guard Stop 7605 King Jr Ave SE Washington DC 20593 Oil Spill Liability Trust Fund c/o USCG Oil Spill Cost Recovery PO Box 979116 St. Louis MO 63197 Oil Spill Liability Trust Fund c/o USCG Oil Spill Recovery PO Box 979116 St. Louis MO 63197 c/o USCG, National Pollution Funds Oil Spill Liability Trust Fund Center 2703 Martin Luther King Jr Ave SE Washington DC 20593 c/o USCG, National Pollution Funds Oil Spill Liability Trust Fund Center Attn: Henry Luis Font 2703 Martin Luther King Jr Ave SE Washington DC 20593 O'Neika K. Davis Attn: Christopher Leavitt 600 Travis Street #7300 Houston TX 77002 Optimum (Altice) PO Box 742698 Cincinatti OH 45274-2698 Optimum Lightpath One Court Square Long Island NY 11101 Orolia PO Box 10457 Albany NY 12201 Orthovirginia PO Box 75868 Baltimore MD 21275-5868 Owen Peterson & Co., LLP 399 Route 109 Suite 2 West Babylon NY 11704 P & M Brick, LLC PO Box 890 Coeymans NY 12045 Pacific Indemnity Company 202B Halls Mill Road Whitehouse Station NJ 08889-1600 Padgett-Swann Machinery Co 5128 36Th Ave South Tampa FL 33619-6826 Palmetto Beach Line Handlers PO Box 5495 Tampa FL 33675 Parker Laboratory, Inc. PO Box 1035 Charleston SC 29402-1035 Parks, Michael C Address Redacted Patrick J Hickey Address Redacted Paul Dibella Address Redacted Paul E. Parrish 333 S.E. 2nd Avenue Suite 3000 Miami FL 33131 Paul J Bosch Address Redacted Paulsboro Refining Company LLC Po Box 823652 Philadelphia PA 19182 3652 Paulsboro Refining Company LLC Attn: Joseph Marino 1 Sylvan Way 2nd Floor Parsippany NJ 07054 Paulsboro Refining Company LLC Attn: Joseph Marino 1 Sylvan Way 2nd Floor Parsippany NJ 07054 Paulsboro Refining Company LLC c/o PBF Holding Company, LLC Attn: Trecia Canty 1 Sylvan Way 2nd Floor Parsippany NJ 07054 PBF Holding Company 1 Sylvan Way, Second Floor Parsippany NJ 07054 PBF Holding Company, LLC parent of Delaware City Refining Company LLC Attn: Joseph Marino 1 Sylvan Way 2nd Floor Parsippany NJ 07054 PC Connection Sales Corp 730 Milford Rd Merrimack NH 03054 Peak Capital LLC POB 20692 New York NY 10023 Peak Capital LLC C/O 507 Capital LLC PO Box# 206 N. Stonington CT 06359 Peak Credit POB 20692 New York NY 10023 Peak Credit POB 20692 New York NY 10023 Peak Credit POB 20692 New York NY 10023 Peak Credit POB 20692 New York NY 10023 Peak Credit LLC POB 20 New York NY 10023 Peak Credit LLC POB 20692 New York NY 10023 PEAK CREDIT LLC c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 PEAK CREDIT LLC (AS ASSIGNEE TO ENGINE SYSTEMS, INC.) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 PEAK CREDIT LLC (AS ASSIGNEE TO MCALLISTER TOWING OF CHARLESTON, INC) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 PEAK CREDIT LLC (AS ASSIGNEE TO MCALLISTER TOWING OF CONNECTICUT, LLC) c/o 507 Capital LLC Attn: Brian Stout PO Box #206 N. Stonington CT 06359 Peaslee, Justin D Address Redacted Pennsylvania Dept. of Revenue 1846 Brookwood St Harrisburg PA 17104 Pennsylvania Dept. of State 401 North St Harrisburg PA 17120 Perciballi Container Service Inc 48 Dutchess Ave Staten Island Staten Island NY 10304 Perciballi Container Service Inc. 460 Liberty Ave Staten Island NY 10305 Perciballi Container Services Attn: Legal Dept. 48 Dutchess Ave Staten Island NY 10304 Perciballi Industries, Inc. 460 Liberty Ave Staten Island NY 10305 Peter Baiardi Address Redacted Peter John Grilli Address Redacted Peter M Dombrowski Address Redacted Petty Cash 58 South Service Rd, Suite 150 Melville NY 11747 Phelps Dunbar, L.L.P. Post Office Box 974798 Dallas TX 75397 4798 Phelps Dunbar, LLP 910 Louisiana St Ste 4300 Houston TX 77002-4950 Phelps Dunbar, LLP. 365 Canal Street Suite 2000 New Orleans LA 70130-6534 Philip R Faulkingham Address Redacted Phillips 66 Company 21064 Network Pl. Chicago IL 60673-1210

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 13 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 139 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Phillips 66 Company 21064 Network Place Chicago IL 60673-1210 2331 CityWest, Blvd., HQ-06-N664- Phillips 66 Company Vincent P. Conley 05 Houston TX 77042 Pioneer Credit Recovery, Inc PO Box 979113 Saint Louis MO 63197-9000 Plains Marketing LP 333 Clay Street Suite 1600 Houston TX 77210 Plains Marketing, L.P. Attn: Luke Fraser 333 Clay St Suite 1900 Houston TX 77002 Plaquemines Parish Sheriff'S Office 8022 Highway 23 Belle Chasse LA 70037 Plaquemines Parish, LA PO Box 7129 Belle Chasse LA 70037-7129 Platonov, Yuriy Address Redacted Plaza Marine Incorporated Attn: Legal Dept. 370 West Pleasantview Ave #341 Hackensack NJ 07601 Podell, Schwartz, Schechter & Banfield, LLP 605 Third Avenue New York NY 10158 Port City Partners 8010 S 1st Ave Sabine Pass TX 77655 Port City Sabine Holdings Attn: Jeff Thomas McFarlin 20940 Great Navajo San Antonio TX 78257 Port City Sabine Holdings Attn: Jeff McFarlin PO Box 1266 Port Arthur TX 77655 Port Newark Container Terminal PO Box 823800 Philadelphia PA 19182-3800 Port Of Galveston 123 25Th Street 8Th Floor Galveston TX 77550 Port Of Houston Authority POBox 95279 Grapevine TX 76099-9752 Port Of Pascagoula Jackson County Port Auth PO Box 70 Pascagoula MS 39568-0070 Port Of South Louisiana 171 Belle Terre Blvd Ste 100 PO Box 909 Laplace LA 70069 0909 Port Ship Service, Inc. PO Box 369 Arabi LA 70032-0369 Portage Point Partners 300 N Lasalle #1420 Chicago IL 60654 Portland Tugboat PO Box 5506 Carol Stream IL 60197-5506 Portland Tugboat, LLC Attn: Legal Dept. 40 Commercial St. Suite 700 Portland OR 04101 Portland Tugboat, LLC c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 Ports America, Inc. PO Box 823791 Philadelphia PA 19182-3791 Preston C Padgett Address Redacted Priscilla Popov Address Redacted Prohealth Care Association, LLP 2800 Marcus Ave Lake Success FL 11042 Proofpoint Inc. 925 W Maude Ave Sunnyvale CA 94085-2802

Protection & Indemnity Brokerage Services Agreement 51 Lime Street London EC3M 7DQ United Kingdom Providence Steamboat PO Box 5506 Carol Stream IL 60197-5506 Providence Steamboat Company PO Box 5506 Carol Stream IL 60197-5506 Providence Steamboat Company Attn: Legal Dept. One India St. Providence RI 02903 Prudential Group Insurance PO Box 101241 ATLANTA GA 30392-1241 Prudential Insurance Company of America 751 Broad Street Newark NJ 07102 Pseg 244 Chestnut St Salem NJ 8079 Pump Systems, LLC Po Box 23814 Harahan LA 70183-0814 Pure Aviation 302 N Last Chance Gulch Suite 403 Helena MT 59601 Q88 LLC 1501 Kings Highway Fairfield CT 06284 Q-Con Corporation 5041 Spencer Highwy ,Ste 702 Pasadena TX 77505 Quadient Finance PO Box 6813 Carol Stream IL 60197 Quadient Leasing Usa, Inc. Dept. 3682 PO Box 123682 Dallas TX 75312-3682 Quality Resources LLC 355 Richmond Road Hanger 5 Richmond Heights OH 44143 R.A. Mitchell Co. Inc. Attn: Legal Dept. 103 Pope's Island New Bedford MA 02740 Radiology Association of Tampa PA PO Box 31265 Tampa FL 33631-3265 Rahway Emergency Medical Association PO Box 80242 Philadelphia PA 19101-1242 Ramon, Frederick Address Redacted Ramoutar, Shiam Address Redacted Readyrefresh By Nestle PO Box 856192 Louisville KY 40285-6192 Reckson Operating Partnership, L.P Attn: Frank Pusinelli 625 RXR Plaza Uniondale NY 11556 Recovered Energy Inc 11455 N. Rio Vista Rd Pocatello ID 83202 Redondo Petion Address Redacted Reed Smith LLP 599 Lexington Avenue 22nd Floor New York NY 10022 Refco Marine Services. LLC 457 Sloping Hill Court Brick NJ 08723 Republic Airport 7150 Republic Airport Farmingdale NY 11735 Resource Power Group 1140 Peters Road Harvey LA 70058 Rhoads Industries 1900 Kitty Hawk Ave Suite 108 East Philadelphia PA 19112 Richard C Bates Address Redacted Richard D Fisher III Address Redacted Richard E Blake Jr. Address Redacted Richard K Luck Address Redacted Richard P Fieldman Address Redacted Richard Schroeder Address Redacted Richards, Jascelyn Address Redacted

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 14 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 140 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Richardson, James Address Redacted Richmond University Medical PO Box 11566 Newark NJ 07101 Richmond University Medical Center 355 Bard Ave Staten Island NY 101310 Rick Pappas Address Redacted RINA USA Inc. Attn: Nigito Maurizio 13450 W. Sunrise Blvd Suite 350 Sunrise FL 33323 Rio Controls & Hydraulics Inc PO Box 231609 Houston TX 77223-1609 Rio Marine Inc PO Box 231609 Houston TX 77223-1609 Rio Marine, Inc. Attn: Clayton C Howard 5301 Polk Street Bldg #12 Houston TX 77023 Rio Marine, Inc. Attn: Clayton C Howard 5301 Polk Street Bldg #12 Houston TX 77023 Rio Marine, Inc. Attn: Clayton C Howard 5301 Polk Street Bldg #12 Houston TX 77023 Rio Marine, Inc. Clayton C Howard 5301 Polk Street Bldg #12 Houston TX 77023 Rivera, Perrie Address Redacted Rivkin Radler Address Redacted Robert Dunham Attn: Jason Itkin 6009 Memorial Drive Houston TX 77007 Attn: Timothy Lerette and Lonnie Robert Dunham Roberts 400 W 15Th Street Suite 900 Austin TX 78701 Robert Dunham, Timothy Lerette, and Lonnie Roberts c/o Arnold & Itkin LLP 6009 Memorial Drive Houston TX 77007 Robert F Lalena Address Redacted Robert Gray Address Redacted Robert H. Wager Co., Inc. PO Box 900013 Raleigh NC 27675-9013 Robert J. Bouchard Address Redacted Robert Knight Address Redacted Robert Magill 3601 SE Miconapy Terrace Staurt FL 34997 Roger Hall 29 Broadway New York NY 10006 Roger Hall 29 Broadway New York NY 10006 Roger L Cason Address Redacted c/o Rolls-Royce Deutschland Ltd & Rolls-Royce Co KG PC-4 - CorporateCare Administration Eschenweg 11 Dahlewitz Blankenfelde-Mahlow 15827 Germany c/o Rolls-Royce Deutschland Ltd. & Rolls-Royce Co KG Eschenweg 11 D-15827 Dahlewitz Blankenfelde¬Mahlow Germany Rolls-Royce PLC HSBC Bank PLC 62-76 Park Street London SE1 9WP United Kigdom Ronnie Michael Cummings Address Redacted Rosales, Kenny Address Redacted Rowe, Andrew H Address Redacted Roy H Laird Address Redacted Royal & Sun Alliance Insurance Plc, London, England 20 Fenchurch Street London EC3M 3AU United Kingdom Royston, Rayzor, Vickery & Willi 306-22Nd St Suite 301 Galveston TX 77550-1589 RSA Attn: Matt Sherrill 174 Middlesex Turnpike Bedford MA 01730 RSA Through Willis Limited 20 Fenchurch Street London EC3M 3AZ United Kingdom Rtland 17 Battery Place, Suite 1200 New York NY 10004 Rufino, Sal Address Redacted Rwjuh Rahway 865 Stone Street Rahway NJ 07065-2742 RXR Realty 625 RXR Plaza Uniondale NY 11556 Ryan Marine Services, Inc 7500 Harborside Drive Galveston TX 77554 Ryan Marine Services, Inc. Attn: Andy Ryan 7500 Harborside Drive Galveston TX 77554 Sabine Pilots 2605 Jimmy Johnson Blvd Port Arthur TX 77640 Safe Harbor Pollution Attn: Legal Dept. 66 Whitecap Drive North Kingstown RI 02852 Safe Harbor Pollution Insurance 66 Whitecap Drive North Kingstown RI 02852 Safeshore From Signal Mutual 64 Danbury Road Suite 200 Wilton CT 06897 Sage Software, Inc. 271 17th Street NW Suite 1100 Atlanta GA 30363 Salazar, Javier Address Redacted Sales Tax Defense LLC 673 Deer Park Avenue Dix Hills NY 11746 Samuel J Carey Address Redacted Sanchez, Esteban J Address Redacted Satcom Direct, Inc. PO Box 101617 Atlanta GA 30392-1617 Savannah Docking Pilots Assn,,Inc. Concentration Account Dept #1529 POBox 11407 Birmingham AL 35246-1529 Savannah Pilots Association PO Box 9267 Savannah GA 31412 Scheulen John Address Redacted Sciallo Irrigation, Inc. PO Box 2676 Huntington Station NY 11746 Scott C Barno Address Redacted Scott H Smith Address Redacted Sea Safety International, Inc. 10 Wood Avenue Secaucus NJ 07094 Sea Safety Services Inc. 10 Wood Avenue Secaucus NJ 07094 Sean James Kenny Address Redacted Sean R Johnson Address Redacted

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 15 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 141 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Sean W O'Hara Address Redacted Seariver Maritime 800 Bell Street Houston TX 77002 Sebastian Daniels Address Redacted Sebonack Golf Club 270 South Service Road Suite 45 Melville NY 11747 Separation Equipment Co., Inc. 501 N Falkenburg Rd Tampa FL 33619 Separator Spares & Equipment, LLC 144 Intracoastal Drive Houma LA 70363 Sergey Wortman, MD 2834 Acushnet Ave New Bedford MA 02745 Seward & Kissell One Battery Park Plaza New York NY 10004 Shannon L Ebarb Address Redacted Shay, Ryan M Address Redacted ShelterPoint Life Insurance Company 1225 Franklin Ave Suite 475 Garden City NY 11530 Shemeka Boatman-Blackshear c/o The Buzbee Law Firm 600 Travis Street, Suite 7300 Houston TX 77002 Sher Garner Cahill Richter Klein & Hilbert, L.L.C. Attn: Joshua S. Force 909 Poydas Street 28th Floor New Orleans LA 70112 Sher Garner Cahill Richter Klein & Hilbert, L.L.C. Attn: Mr. William Johnson 909 Poydas Street 28th Floor New Orleans LA 70112 Shultz, Jeremiah B. Address Redacted Sidley Austin LLP 1 S Dearborn St #900 Chicago IL 60603 Sidley Austin LLP 787 7th Ave New York NY 10019 Signature Bank Attn: Legal Dept. 565 Fifth Avenue New York NY 10017 Signature Bank Attn: Martine Lamare 1400 Broadway 7th Floor New York NY 10018 Silvas, Romero Address Redacted Singing River Health System PO Box 26367 Salt Lake City UT 84126-0367 Singing River Radiology Group Pa PO Box 2710 Slidell LA 70459-2710 Sippel, Thomas J. Address Redacted Sir Speedy 75 State Street Westbury NY 11590 SMC Aviation, Inc. 8200 Republic Airport Suite #8 Farmingdale NY 11735 Smith Jr., Ray J Address Redacted Sompo 10 S Wacker Dr # 2975 Chicago IL 60605 Sonia Vega Address Redacted South Carolina Dept. of Revenue 300A Outlet POinte Boulevard Columbia SC 29210 South Carolina State Ports Authority 200 Ports Authority Drive Mount Pleasant SC 29464 South Carolina State Ports Authority c/o Willoughby & Hoefer, P.A. Attn: Joseph H. Farrell, III, Esq. 133 River Landing Drive, Suite 200 Charleston SC 29492 Southcoast Physicians Group PO Box 415022 Boston MA 02211-5022 Southern Crane & Hydraulics, L.L.C PO Box 39 Bourg LA 70343 Spheremd 2330 NW Flanders St #103 Portland OR 97217 Spheremd 555 N Channel Ave Ste 72 Portland OR 97217 St Bernard Emergency Group LLC PO Box 731584 Dallas TX 75373-1584 ST Engineering Halter Marine & Offshore d/b/a Halter Marine & Offshore Attn: David S. Bland c/o Bland & Partners PLLC 5500 Prytania Street #618 New Orleans LA 70112 St Engineering Halter Marine & Offshore, Inc. PO Box 1308 Pascagoula MS 39581 St Engineering Halter Marine & Offshore, Inc. Po Box 1308 Pascagoula MS 39581 ST Engineering Halter Marine Offshore Attn: David Bland 5500 Prytania St. #618 New Orleans LA 70112 St. John Parish, LA 1801 W Airline Hwy LaPlace LA 70068 St. Mary Parish Sheriff PO Box 610 Patterson LA 70392-0610 Staples Advantage Dept Ny PO Box 70242 Philadelphia PA 19176-0242 Staples Business Advantage PO Box 105748 Atlanta GA 30348 Star Physical Therapy - Noe 340 Falconer Drive Covington LA 70433-8204 Stasinos Marine LLC 16 Squanto Rd Weymouth MA 02191 State Corporation Commission Clerk'S Office PO Box 1197 Richmond VA 23218-1197 State Insurance Fund 8 Corporate Center Drive 3rd Floor Melville NY 11747-3166 State Of Delaware 401 Federal Street Dover DE 19901 State of Delaware Division of Revenue 820 N. French Street Wilmington DE 19801 State of New Jersey - LMF PO Box 189 Trenton NJ 08695-0189 State of Rhode Island Div. of Taxation One Capital Hill Providence RI 02908 State of Washington Department of Revenue PO Box 47473 Olympia WA 98504-7463 Steelstran Industries, Inc. c/o Simms Showers LLP Attn: J. Stephen Simms 201 International Circle Suite 230 Baltimore MD 21030 Stephan Matteo Address Redacted Stephen A Norris Address Redacted Stephen D Perkins Jr. Address Redacted Stephen G Coward Address Redacted Stephen Motta Address Redacted Stephenson, Kelton Address Redacted Sterling Mets, L.L.P 12301 Roosevelt Ave Flushing NY 11368 Steven G Cooper Address Redacted Steven J Elster Address Redacted Steven M Kralevic Address Redacted

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 16 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 142 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Steven R Gray Address Redacted Stewart & Stevenson Attn: Legal Dept. 55 Waugh Dr Suite 1000 Houston TX 77007 Stewart, Dane Address Redacted Stretto 7 Times Square 16th Floor New York NY 10036 Stroock, Stroock & Lavan 180 Maiden Lane New York NY 10038 Suncoast Electric Motor Sales, Inc 1606 No 25th Street Tampa FL 33605-5529 Surebliss LLC c/o Aerlex Law Group Attn: Amanda M. Applegate 11900 West Olympic Blvd Suite 450 Los Angeles CA 90064 Surebliss LLC c/o DDK & Company Attn: Jeffrey Feinman 1 Penn Plaza 4th Floor New York NY 10119 T & T Offshore, Inc. 9723 Teichman Road Galveston TX 77554 Taylor, Edwin Address Redacted Taylor, Ronald N Address Redacted Tayssir Mahieldein Address Redacted Techcrane International, Inc. Po Box 3817 Covington LA 70434 Techcrane International, LLC Darius A Shad 17639 Hard Hat Row Covington LA 70435 Technico Marine Corp 141 Beard Street Bldg # 15 Brooklyn NY 11231 Tennessee Department of Revenue Collection Services Division 500 Deaderick Street Nashville TN 37242 Tennessee Secretary of State 312 Rosa L Parks Ave 3rd Floor Nashville TN 37243 Texas Comptroller of Public Accounts PO Box 13528 Capitol Station Austin TX 78711-3528 Texas General Land Office - Oil Spill Office Susan Sergent PO Box 12873 Austin TX 78711 The Bear'S Club 250 Bear'S Club Drive Jupiter FL 33477 The Continental Insurance Company 333 S Wabash Ave Chicago IL 60604 The Continental Insurance Company Attn: Jose Ramon Gonzalez 151 N Franklin Street Floor 9 Chicago IL 60606 The Continental Insurance Company (CNA) 20 Fenchurch Street London EC3M 3BY United Kingdom The Morton S. Bouchard III Revocable Trust 58 South Service Road Suite 150 Melville NY 11747 The North of England Protecting and Indemnity Association Limited trading as North, Newcastle upon Tyne, England 100 Quayside Newcastle upon Tyne NE1 3DU United Kingdom The Tank Tiger, LLC 111 Commons Way Bldg 1 Suite 111 Princeton NJ 08540 The United Kingdom Mutual Steam Ship Assurance Association (Europe) Limited Attn: Thomas Miller 90 Fenchurch Street London EC3M 4ST United Kingdom Theofanis Tsakos 104 West 42nd Street Bayonne NJ 07002 Thomas A Cates Address Redacted Thomas F Rooney Address Redacted Thomas K Rowley Address Redacted Thomas Marine Launch Services, LLC 2131 Greens Road Houston TX 77032 Harborside 5, 185 Hudson St., Suite Thomas Miller (Americas) Inc. Attn: Legal Dept. 2710 Jersey City NJ 07311 Thomas Rowley 5629 15Th Avenue N St. Petersburg FL 33710 Thomas Stryska Address Redacted Thomson Reuters - West Publishing Corp Payment Center PO Box 6292 Carol Stream IL 60197-6292 Timothy Lerette Attn: Jason Itkin 6009 Memorial Drive Houston TX 77007 Timothy M McKean Address Redacted Tinney, George Address Redacted Todd Janiszewski Address Redacted Tokio Marine HCC Attn: Randy D. Rinicella 13403 Northwest Freeway Houston TX 77040 Tony A Novasel Address Redacted Total Quality Logistics, LLC Po Box 634558 Cincinnqti OH 45263-4558 c/o Law Firm of Robert H. Brown, Total Quality Logistics, LLC P.C. Attn: Robert H. Brown 108-18 Queens Blvd., 4th Floor Suite 1A Forest Hills NY 11375 Total Technology Solutions 1895 Walt Whitman Rd Melville NY 11747 Tradewinds 1010 Washington Blvd 2Nd Floor Stamford CT 06901 Trafigura Trading 263 Tresser Blvd 16th Floor Stamford CT 06901 Transworld Systems Inc. 28 Liberty St New York NY 10005 Trapasso, Roy Address Redacted Trent A McDowell Address Redacted Trevor D Brandt Address Redacted Tsakos, Theofanis Address Redacted Tucker J Hadgraft Address Redacted Tugz Company LLC PO Box 5506 Carol Stream IL 60197-5506 Turn Services, LLC 10500 Patterson Road New Orleans LA 70131 Turner, Gary K. Address Redacted Tyne Anderson Address Redacted Tyson Tucker Address Redacted U.S. Coast Guard PO Box 979123 St. Louis MO 63197-9000 U.S. Coast Guard Civil Penalties PO Box 979123 St. Louis MO 63197-9000

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 17 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 143 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country U.S. Department of Labor 33 Whitehall St New York NY 10004 U.S. Department of Labor PO Box 7 New York NY 10004-0007 U.S. Small Business Administration 409 3Rd St. Sw Washington DC 20416 United States Coast Guard U.S. Treasury Inspection PO Box 531030 Atlanta GA 30353-1030 Unclaimed Property Division of the Texas Comptroller of Public Accounts Attn: Murl E. Miller 111 E. 17th Street, Office 113A Austin TX 78711 Underwater Services, Inc PO Box 1461 Aransas Pass TX 78335 Unico 3773 Richmond Avenue Suite 565 Houston TX 77046 Unico Marine 3101, JBC3, Cluster Y Jumeirah Lakes Towers PO Box 128890 Dubai United Arab Emirates United States Coast Guard PO Box 979123 St. Louis MO 63197-9000 UNITED STATES COAST GUARD ATTN LEGAL DEPARTMENT 2703 MARTIN LUTHER KING JR. AVE SE WASHINGTON DC 20032 Office of Claims and Litigation - United States Coast Guard Comman USCG HQ, CG-0945 2100 2nd Street SW Mailstop 7121 Washington DC 20593 United States Fire Insurance Company 305 Madison Avenue Morristown NJ 07962 United States Fire Insurance Company via Crum & Forster Attn: James Kraus 305 Madison Avenue Morristown NJ 07962 United States Longshore and Harbor Workers Insurance 64 Danbury Road Suite 200 Wilton CT 06897 UnitedHealthcare Insurance Company Attn: CDM/Bankruptcy 185 Asylum Street-03B Hartford CT 06103 UnitedHealthcare Insurance Company of New York 2950 Expressway Drive Suite 240 Islandia NY 11749 Universal Marine Medical Supply Int'L, LLC 27 Sylvaton Terrace Staten Island NY 10305 Us Department Of The Treasury Po Box 979110 St. Louis MO 63197-9000 Valero Marketing & Supply PO Box 696000 San Antonio TX 78269-6000 Van Hydraulics, Inc PO Box 320 Keasbey NJ 08832 Vann-Virginia CTR For Orthopae 230 Clearfield Ave #124 Virginia Beach VA 23462 Vapor Power International Po Box 7659 Carol Stream IL 60197-7659 Vector - Long Island Macarthur Airport Lockbox # 7061 PO Box 8500 PHILADELPHIA PA 21275-5766 Vedder Price P.C. 1633 Broadway 31st Floor New York NY 10019 Verio, Inc. PO Box 972312 Dallas TX 75397-2312 Verizon PO Box 15124 Albany NY 12212-5124 Verizon Business Customer ID SV174295 PO Box 15043 Albany NY 12212-5043 Vernon G Haywood Address Redacted Vernon J Kvorjak Address Redacted Victor A Caldera Address Redacted Victor Nigro Address Redacted Video Surveillance Corp. 83 Stephen Loop Staten Island NY 10314 Viking Life-Saving Equipment 1400 Nw 159 St Ste 101 Miami FL 33139 Vincent Destefano Address Redacted Virginia Department of Taxation 1957 Westmoreland Street Richmond VA 23230 Virginia Dept. of Taxation Virginia Department of Taxation 1957 Westmoreland Street Richmond VA 23230 Virginia Professional Services LLC 3850 Gaskins Road Suite 120 RICHMOND VA 23233 VMware 27575 Network Place Chicago IL 60673-1275 Walter Burns Jr Address Redacted Walter E. Heaton III Address Redacted Wansley, Randolph E Address Redacted Washington Secretary of State PO Box 40220 Olympia WA 98504-0220 Washington, Robbie Address Redacted 4725 West Sand Lake Road Suite Web Benefits Design Corporation 300 Orlando FL 32819 Welder Leshin LLP 800 North Shoreline Suite 300 North Corpus Christi TX 78401 Wells Fargo Elite Card Payment Center PO Box 77066 Minneapolis MN 55480-7766 Wells Fargo Bank National Association 420 Montgomery Street San Francisco CA 94104 Wells Fargo Bank, N.A. c/o Payment Remittance Center PO Box 51174 Los Angeles CA 90051 Wells Fargo Commercial Services Mac R4057-01Q PO Box 602620 Charlotte NC 28260-2620 Welsh, Tyler T. Address Redacted West FL Primary Care Pine Forest PO Box 740776 Cincinnati OH 45274-0776 Wheatley Hills Golf Club 147 East Williston Avenue East Williston NY 11596 Whitmore Group Ltd. Attn: Legal Dept. 370 Old Country Rd #200 Garden City NY 11530 William A Ferrara Address Redacted William D Adams Address Redacted William Gibbons PO Box 24373 Chistiansted St.Croix VI 00824 William H Fulford Address Redacted William Sivori Address Redacted Willis L Holmes IV Address Redacted

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 18 of 19 Case 20-34682 Document 1063 Filed in TXSB on 07/13/21 Page 144 of 144

Exhibit S Creditor Matrix Served via First-Class Mail

Name Attention Address 1 Address 2 Address 3 City State Zip Country Willis Of New York, Inc. Po Box 26418 New York NY 10087-6418 Willis Towers Watson Northeast, Inc. Attn: Legal Dept. Brookfield Place 200 Liberty Street New York NY 10281 Wilmington - Cape Fear Pilots Association PO Box 10070 Southport NC 28641 Wilmington Docking Pilots Post Office Box 836 Wilmington NC 28402 Wilmington Tug, Inc. PO Box 389 New Castle DE 19720 Winston & Strawn LLP 200 Park Avenue New York NY 10166-4193 Wintech PO BOX 733000 Dallas TX 75373-3000 Wisconsin Department of Revenue PO Box 8949 Madison WI 53713 Wolfanger, Nathaniel D Address Redacted Wood, Ryan W Address Redacted Worcester, David Address Redacted Workers Compensation / Employers Liability One West Nationwide Boulevard 1-04-701 Columbus OH 43215 World Fuel Services 2458 Payshere Circle Chicago IL 60674-0024 Xerox Corporation 800 Long Ridge Road PO Box 1600 Stamford CT 06904 Xerox Holdings Corporation PO Box 827598 Philadelphia PA 19182-7598 YellowFin Marine Services 2043 Coteau Rd Houma LA 70364 York, Brian M Address Redacted Zurich American Insurance Attn: Wendy Messner PO Box 19253 Minneapolis MN 55419

In re: Bouchard Transportation Co., Inc. et al. Case No. 20-34682 (DRJ) Page 19 of 19